Retained by the Records Family and McAfee & Taft to advise on tax position taken and under review by Tax Court regarding ability of Taxpayer to claim an ordinary (vs. capital) loss on near worthless subsidiary; Prepare expert disclosures and report; Assisted counsel with trial preparation.
Records et. al. v. Commissioner ofIRS (US Tax Court): Worthless Stock Tax Expert
by ldc55 | Aug 23, 2024 | Forensic and Special Situation Tax Services, TRANSACTIONAL, OPERATIONAL & TAX PRACTICE