6707A Penalties & 419 Plans Litigation: Large IRS Fines Continue For 419, 412i, Captive In...
6707A Penalties & 419 Plans Litigation: Large IRS Fines Continue For 419, 412i, Captive In...: By Lance Wallach Taxpayers must report certain transactions to the IRS under Section 6707A of the Tax Code, which was enacted in 2004...
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