A Recent Tax Court View Of Statute Of Limitations Provisions
By Andrew Roberson and Elizabeth Chao · February 9, 2018, 1:05 PM EST
On Jan. 2, 2018, the U.S. Tax Court issued an opinion in Rafizadeh v. Commissioner,[1] holding that the six-year statute of limitations for amounts reportable under Internal Revenue Code Section 6038D...
To view the full article, register now.
Try a seven day FREE Trial
Already a subscriber? Click here to login