Holtz, Slavett & Drabkin tax attorney, principal, and shareholder David J. Warner will be co-presenting a Strafford webinar entitled “Correcting Foreign Information Reporting Noncompliance: Voluntary Disclosure Programs” on Tuesday, December 3, 2024, at 10:00 a.m. Pacific time.

This program will help CPAs and other tax professionals analyze their clients’ situations when clients have not filed all IRS international information returns, such as Forms 5471, 5472, 8938, and FinCEN Form 114 (FBAR).  David will discuss the various penalties associated with these forms, the potential options to resolve noncompliance issues, and the factors to analyze in each clients’ situation.

David J. Warner practices in all aspects of tax controversy including tax audits, collection defense, and tax litigation.  David regularly advises clients and accounts on international noncompliance issues.  Before joining Holtz, Slavett & Drabkin, David was a Senior Trial Attorney with the IRS Office of Chief Counsel in Laguna Niguel for 9 years.  As an IRS attorney, he handled over 500 cases before the U.S. Tax Court, including the most complex international cases.  As is relevant to this presentation, David advised the local IRS Special Enforcement Program (SEP) and Large Business & International (LB&I) International Individual Compliance (IIC) revenue agents on complex domestic and international issues.  David was an Adjunct Professor of Law at University of California Irvine School of Law, Chapman University Fowler School of Law, and Loyola Law School, where he taught courses on tax practice and procedure, partnership tax, bankruptcy tax, and corporate tax.

Holtz, Slavett & Drabkin, APLC is a tax controversy and tax litigation law firm consisting of former IRS trial attorneys.  We represent taxpayers in all aspects of tax disputes with the IRS and state tax authorities.  To schedule a consultation, please contact us at (949) 999-6606.