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Electronically File a Return Late and Owe the IRS a Late-File Penalty?

Electronically File a Return Late and Owe the IRS a Late-File Penalty?

by David J. Warner | Mar 11, 2019 | Internal Revenue Service, Tax Collection

A Recent Case Might Provide Relief For individuals, tax returns must be filed with the Internal Revenue Service (“IRS”) by April 15, or October 15, if the individual timely requests an extension. If a taxpayer does not timely file their tax return, the IRS may assess...
David J. Warner to Speak at the USC Gould School of Law 2019 Tax Institute

David J. Warner to Speak at the USC Gould School of Law 2019 Tax Institute

by David J. Warner | Jan 25, 2019 | FBAR, Firm News, Internal Revenue Service

Holtz, Slavett & Drabkin tax attorney, David J. Warner, will be a speaker at the USC Gould School of Law 2019 Tax Institute, which will be held in Los Angeles on January 28-30, 2019. David will be a speaker on the panel, “Contesting and Litigating International...
Tax Practitioner Alert: The IRS Is Assessing Excessive Foreign Bank Account Report (FBAR) Penalties

Tax Practitioner Alert: The IRS Is Assessing Excessive Foreign Bank Account Report (FBAR) Penalties

by David J. Warner | Jan 18, 2019 | FBAR

Certain individuals and entities are required to file a FinCEN Form 114, Report of Foreign Bank Account Report (commonly called an “FBAR”), if they have a financial interest or signature authority in a foreign bank account. The FBAR form is filed electronically on the...
Tax Professionals Be Aware: The Rules for Claiming a Refund of Foreign Bank Account Report (FBAR) Penalties May Have Just Changed

Tax Professionals Be Aware: The Rules for Claiming a Refund of Foreign Bank Account Report (FBAR) Penalties May Have Just Changed

by David J. Warner | Jan 18, 2019 | FBAR

Certain individuals and entities are required to file a FinCEN Form 114, Report of Foreign Bank Account Report (commonly called an “FBAR”), if they have a financial interest or signature authority in a foreign bank account. The FBAR form is filed electronically on the...
Think the Criminal Statute of Limitations for Failure to Report Foreign Bank Accounts Has Expired? Think Again.

Think the Criminal Statute of Limitations for Failure to Report Foreign Bank Accounts Has Expired? Think Again.

by David J. Warner | Nov 13, 2018 | Criminal Tax, FBAR, Internal Revenue Service, Offshore Income

Certain individuals and entities are required to file a FinCEN Form 114, Report of Foreign Bank Account Report (commonly called an “FBAR”), if they have a financial interest or signature authority in a foreign bank account. The FBAR form is filed electronically on the...
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  • Super Lawyers Names Six HSDW Attorneys to 2026 Southern California Super Lawyers and Rising Stars Lists
  • Michele Weiss to Moderate a Panel on FTB and CDTFA Settlement for the Beverly Hills Bars Association
  • Michele Weis to Discuss Valuation in Tax Cases: The Importance of Getting it Right at the USC Tax Institute on January 27, 2026
  • Holtz, Slavett & Drabkin, APLC is now Holtz, Slavett, Drabkin & Warner, APLC
  • Michele Weiss to Provide Insight on How to Think Outside the Box in Tax Cases at the California Lawyers’ All Tax Meeting November 2025
  • Igor Drabkin and Kevin Oveisi to Present on FBAR Update for BarBri
  • Kevin Oveisi to Provide Expertise on Tax Audit & Litigation Strategies at California Lawyer Association Meeting
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