When the IRS begins seeking to recover unpaid payroll taxes it often casts a wide net and assesses many employees and owners of a business. When the IRS becomes over-zealous in its search for responsible parties to recover from, it is usually economically better to challenge the assessment administratively prior to litigating the matter if possible. This panel will review the mechanics of the assessment of the Trust Fund Recovery Penalty against responsible individuals and options for protesting the assessment, including appeals and seeking a penalty abatement. A review of refund litigation will also be covered.
- Christin M. Bucci, Esq., Bucci Law Offices, Miami, FL
- Megan L. Brackney, Esq, Kostelanetz & Fink, New York, NY
- Barbara T. Kaplan, Esq., Greenberg Traurig, New York, NY
350 Trolley Line Blvd
Mashantucket, CT 06338
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