SCHEDULE AN APPOINTMENT (312) 549-9990
SCHEDULE AN APPOINTMENT (312) 549-9990
The Supreme Court is focusing in on statutory text, IRS guidance, and concerns over equity in a case that will decide whether non-willful foreign bank account reporting penalties apply per account or per form. Zhanna Ziering quoted in Tax Notes article titled Justices Pepper Sides in FBAR Dispute With Textual, Equitable Queries.