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Tag: Megan L. Brackney

Megan L. Brackney Quoted In Forbes Article Entitled “Cryptocurrency Front And Center In Revised IRS Voluntary Disclosure Practice”

Megan L. Brackney was quoted in a recent Forbes article entitled “Cryptocurrency Front And Center In Revised IRS Voluntary Disclosure Practice,” published on February 15, 2022. Brackney analyzes the implications of the recent updates to the IRS’s Voluntary Disclosure Practice Preclearance Request and Application on both tax practitioners and taxpayers. 

Megan Brackney Participates In A Panel Entitled “Empire State Update: Recent Developments In New York State Taxes,” New York State Bar Association, Section Of Taxation, Annual Meeting

The panelists discuss recent developments, including an update on New York’s draft corporate income tax regulations, newly issued administrative guidance, as well as some important decisions issued by the New York State Division of Tax Appeals and New York State judicial courts. Panel Chair: Jack Trachtenberg, Esq., Deloitte Tax LLP, New

Caroline D. Ciraolo And Megan L. Brackney Participate In A Panel Titled “Are Your Secrets Safe? A Discussion Of The Scope, Application And Protection Of Legal Privileges In The US And Abroad” At The ABA Section Of Taxation, May Tax Meeting

Information is power and, in civil audits and criminal investigations, the government seeks to identify and obtain as much information as possible. To the extent such information falls within a recognized legal privilege, it is up to counsel for the taxpayer or target to timely and properly assert the applicable

Megan Brackney Presents A Webinar Entitled “IRS Summons And Other Methods Of Obtaining Taxpayer Information, Enforcement, And Defenses” For Celesq Attorneys Ed Center

The IRS has several methods for obtaining information about taxpayers. This program discussed the IRS’s methods of obtaining information, focusing primarily on the IRS’s summons authority, including the scope of that authority, taxpayer’s rights and privileges, summons enforcement litigation, and the attorney’s ethical obligations when responding to IRS requests for