Bittner v US: FBAR Penalties After Landmark US Supreme Court Case

Bittner v US: FBAR Penalties After Landmark US Supreme Court Case

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Bittner v US: FBAR Penalties
About the Program

This panel of tax experts, including Mr. Bittner’s attorney, will discuss the new landscape of penalties for taxpayers? failures to report foreign accounts in light of the Supreme Court?s opinion in the Bittner case.

Speaker(s)
3-2

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Partner Clark Hill, LLP

Rachael E. Rubenstein helps clients to resolve tax-related problems and to comply with regulatory obligations.

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LaVonneDLawson

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Counsel Leech, Tishman, Fuscaldo & Lampl

LaVonne D. Lawson is Counsel with Leech Tishman and a member of the firm’s Tax Group as well as the Estates & Trusts Practice Group. LaVonne counsels small businesses, entrepreneurs and start-ups, as well as large businesses and established companies, in state, federal, and international tax matters. She focuses her practice on tax reporting and compliance, tax controversy and litigation, and estate planning.

LaVonne previously served as a Senior Attorney with the Internal Revenue Service (IRS) Office of Chief Counsel, where she counseled revenue agents and revenue officers, represented the IRS in the U.S. Tax Court, and advised Department of Justice Attorneys and Assistant U.S. Attorneys in tax cases outside of the Tax Court.

LaVonne regularly counsels clients on numerous statutes and regulations regarding substantive and procedural tax issues. She has significant experience representing clients in a variety of federal and California state tax controversy and litigation matters.

LaVonne also has experience advising clients on international tax reporting and compliance, and assists businesses and individuals in compliance matters involving offshore assets and account reporting.

Prior to joining Leech Tishman, LaVonne was owner of the Law Office of LaVonne Lawson, where she represented businesses and individuals in federal and California state tax matters.

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Michele FL Weiss

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Principal Holtz, Slavett & Drabkin, APLC

Michele Leichtman Weiss is a Principal at Holtz, Slavett & Drabkin. She has over 20 years of experience in tax controversy and litigation matters. Michele helps her clients resolve their civil and criminal tax matters. She represents her clients in all aspects of tax controversy, in examinations, appeals and collection matters, at the administrative level and in litigation with federal, state and local tax authorities including the IRS, FTB, California Department of Tax and Fee Administration (CDTFA), EDD, Board of Equalization, Office of Tax Appeals (OTA), the County Assessor and LA City Finance Office. Michele has expertise in many substantive and procedural tax issues including tax penalty abatement, conservation easement deductions, offshore disclosure matters, employment tax matters, sales tax audits, research and development credits, collection due process and non-profit matters. Michele handles property tax matters in all California counties including special assessments, escape assessments, change in ownership issues and property tax appeal representation.

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Accreditation
Credit Hours:
1.00
Specialty Area:
Taxation Law
Credit Type:
General
Original Air Date:
April 4, 2023
Accredited in:
California
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