The IRS has broad administrative powers to obtain records and information when pursuing its case. This panel will review what the procedures are for the IRS to utilize its summons power, how practitioners can help clients respond to a summons, and how to challenge the IRS when it has over-stepped its powers in its zeal to obtain information.
- Sharon L. McCarthy, Esq., Kostelanetz & Fink, LLP, New York, NY
- Sanford J. Boxerman, Esq., Capes, Sokol, Goodman & Sarachan, PC., St. Louis, MO
- Zhanna A. Ziering, Esq., Caplin Drysdale, Chtd., New York, NY
- Barbara T. Kaplan, Esq., Greenberg Traurig, LLP, New York, NY
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