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Allison, Mark D.
Birkenstock, Joseph M.
Burmester, Kirsten
Caplin, Mortimer M.
Clauson, Jacob T.
Cluett, Ronald G.
Drysdale, Douglas D.
Durham, Michael W.
Elber, Niles A.
Fay Green, Natalie
Fournier, William D.
Grossman, Elizabeth A.
Hicks, Matthew C.
Holmes, Diara M.
Hutson, Courtney
Inselbuch, Elihu
Jaramillo, Victor A.
Jowers, Kirk L.
Kahng, Sean I.
Kaufman, Beth Shapiro
Kelleher, Leslie M.
Keller, Elan P.
Klimon, William M.
Kochman, Neal M.
Koski, Jeanna Rickards
Laughlin, Felix B.
Lewis, Patricia Gimbel
Liesemer, Jeffrey A.
Lloyd, Michael
Lockwood, Peter Van N.
Lowy, Peter A.
Maclay, Kevin C.
Matthews, Mark E.
McDaniel, Brady
McMillan, Ann C.
Mehany, Dianne C.
Michel, Scott D.
Morgan, Bryson B.
Namorato, Cono R.
Nokes, Sharon W.
O'Brien, Jennifer M.
Owens, Marcus S.
Partain, Rachel Leigh
Pfeifer, Michael G.
Phillips, Todd E.
Polk, Shauna
Potter, Trevor
Reinsel, Ronald E.
Rizek, Christopher S.
Rosenbaum, Daniel B.
Rosenbloom, H. David
Ruchelman, Charles M.
Sackett, Andrew J.
Salles, James E.
Sanderson, Matthew T.
Schick, Sharon H.
Skillman, Richard W.
Slocombe, Walter B.
Smiley, Stafford
Swett III, Trevor W.
Tobin, Rita C.
Varley, Douglas N.
Wallace, Clinton G.
Weber, Ann M.
Wehner, James P.
Wilson , Brendan
Youn, Joanne C.
Ziering, Zhanna A.
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Complex Litigation Alert
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Tax Controversies
Alerts
Corporate, Business & Transactional Tax Alert
Global Netting: Potential Opportunities for Corporate Taxpayers
April 10, 2013
International Tax Alert
Professional Golfer Sergio Garcia to Owe More Taxes on Endorsement Income
March 15, 2013
Private Client Alert
ALERT: Federal Judge Grants IRS "John Doe" Summons Seeking California Gift Tax Records
December 22, 2011
Tax Alert
ALERT: LB&I Commissioner Provides Guidance to Examiners and Managers on the Codified Economic Substance Doctrine and Related Penalties
July 29, 2011
International Tax Alert
ALERT: More Foreign Financial Account Reporting
March 26, 2010
International Tax Alert
ALERT: Looking for FBARs in All the Wrong Places? Limited Relief in New Interim Guidance
March 15, 2010
Employee Benefits Alert
ALERT: Get Ready for the Employment Tax Compliance Surge: IRS to Challenge Status of Independent Contractors
February 18, 2010
Publications
Global Netting: Potential Opportunities for Corporate Taxpayers
April 30, 2013
FATCA: A New Era of Financial Transparency
January 1, 2013
The Nuts And Bolts of Deficiency Cases: From Examination to The Tax Court
December 1, 2012
Safe at Last? Transfer Pricing Safe Harbors on the Horizon
September 6, 2012
Article from Tax Analysts, Switzerland and the U.S.: What We Have Here is a Failure to Communicate
June 4, 2012
Offshore Tax Evasion: US Initiatives by Scott D. Michel
April 26, 2012
Protecting Yourself and Your Client in a Joint Defense Arrangement
Winter 2012
Offshore Tax Enforcement, Voluntary Disclosure, And Undeclared Foreign Accounts
December 2011
OVDI Is Over — What's Next for Voluntary Disclosures?
October 17, 2011
Unreported Gifts of Real Property: Time for a Voluntary Disclosure?
August 1, 2011
FATCA & Foreign Bank Accounts: Has the U.S. Overreacted?
May 31, 2011
Final Rules & New FBAR Form Issued
May 2011
IRS Seeks Names of U.S. Account Holders at HSBC (India)
April 18, 2011
Indictment of Offshore Account Holder Portends a New Round of Aggressive Enforcement
February 2011
The Foreign Account Tax Compliance Act and Notice 2010-60
December 2010
IRS's Voluntary Disclosure Program for Offshore Accounts: A Critical Assessment After One Year
September 21, 2010
Advise Client Companies to Review Payroll Practices
September 10, 2010
Federal and State Governments Target Employment Tax Compliance
September/October 2010
Once Again Employment Tax Compliance at the Forefront of IRS's Enforcement Agenda
June 21, 2010
The Foreign Account Tax Compliance Act
May 11, 2010
IRS Scrutinizes Payroll Practices, Challenges for Companies
May 2010
IRS Scrutiny of Equity Swaps Could Impact Offshore Funds
March 5, 2010
Kiva Dunes and Golf Course Conservation Easements: Important Implications for Tax Deductibility of Conservation Easement Contributions
January/February 2010
Undeclared Foreign Accounts—Voluntary Disclosures and FBARs After the IRS Settlement Initiative
December 2009 - January 2010
2009 Treaty Developments
November/December 2009
Resolución de Conflictos en Material Fiscal (in Spanish)
May 10, 2009
Cross-Border Information Reporting & Civil Penalities (in a Nutshell)
04/01/2009
Voluntary Disclosure Key to Addressing Offshore Tax Cheats, Practitioners Say
December 8, 2008
A $200,000 Penalty for a $25,000 Deduction??!!: the High Price of Failing to Disclose Listed Transactions Under Section 6707A of the Code
November 2008
Conservation Easements Under Fire: A Five-Point Strategy to Defend the Deduction
June 2008
Voluntary Disclosure Becomes A Necessity
May 2008
Tax Crimes: Has the Bright Line Moved?
February 2008
Developments Aplenty in the KPMG Tax Case: Partial Dismissal, and Court-Ordered Transparency In Entity/Government Negotiations
September 2007
Blame It on Transparency
March 5, 2007
A Rare Look Inside The IRS's Office of Professional Responsibility
April/May 2006
Deferred Prosecution Agreements: Implications for Corporate Tax Departments
January/February 2006
Caplin & Drysdale Tax Alert
January 2006
Tax Planning for Involuntary Conversions
October 3, 2005
Enhanced IRS Enforcement and the Voluntary Disclosure Policy
August 2005
I'll Pay, but Let's Not Call It a Fine: Code Sec. 162(f) Issues in Structuring Settlement Payments - Five Lessons from LTR 200520241
July 2005
But I Don't Sell Tax Shelters! The Expanding Reach of the Code Sec. 6700 Promoter Penalty
June 2004
Caplin & Drysdale TaxAlert
April 2003
Tax Advice After Sarbanes-Oxley
January 24, 2003
Tax Accounting Monthly Column
August 2002