Lawrence Sannicandro examines the current deference courts give to the IRM and the increased role the IRM may play in tax litigation post-Mayo and post-enactment of Code Sec. 7803(a)(3).
2.4.2018
2.4.2018
Lawrence Sannicandro examines the current deference courts give to the IRM and the increased role the IRM may play in tax litigation post-Mayo and post-enactment of Code Sec. 7803(a)(3).
The McCarter & English, LLP website is for informational purposes only. We do not provide legal advice on this website. We can provide legal advice only to our clients in specific inquiries that they address to us. If you are interested in becoming a client, please contact us, but do not send any information about your specific legal question. We cannot serve as your lawyers until we establish an attorney-client relationship, which can occur only after we follow procedures within our firm and after we agree to the terms of the representation.
Accept Cancel