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Tax Blawg

Tax Talk for Tax Pros

Introduction

Welcome to TaxBlawg, a resource from Chamberlain Hrdlicka for news and analysis of current legal issues facing tax practitioners. Although blawg.com identifies nearly 1,400 active “blawgs,” including 20+ blawgs related to taxation and estate planning, the needs of tax professionals have received surprisingly little attention.

The Wall Street Journal's Tax Blog gives “tips and advice for filers,” and Paul Caron’s legendary TaxProf Blog is an excellent clearinghouse for academic and policy-oriented news. Yet, tax practitioners still lack a dedicated resource to call their own. For those intrepid souls, we offer TaxBlawg, a forum of tax talk for tax pros.

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  • Posts by Lawrence W. Sherlock
    Shareholder; Co-Chair, Firm Tax Controversy Section

    Larry Sherlock is a tax attorney in the Tax Controversy Section of Chamberlain Hrdlicka in Houston.

    In more than 30 years of practice, Larry has achieved success both at the Tax Division of the Justice Department and at Chamberlain ...

Houston Marriott Westchase, 2900 Briarpark Dr., Houston, Texas 77042

This is a "Save The Date" for the Wednesday, September 25, 2019 Chamberlain Hrdlicka West Houston Tax Forum at the Marriott Westchase from 7:00-9:00 a.m.

Speakers: Sebastien Chain and Larry Sherlock

Topic: New IRS Voluntary Disclosure Practice:  Domestic Criminal Violations, Foreign Accounts and Cryptocurrency

Late in 2018, the IRS ended its Offshore Voluntary Disclosure Program for willful violations of foreign bank account reporting, but leaving in place its existing practices for reporting ...

The Houstonian - 111 North Post Oak Lane

This is a "Save The Date" for the Thursday, September 19 Chamberlain Hrdlicka West Loop (Galleria) Tax Forum at the Houstonian from 7:00-9:00 a.m.

Speakers: Sebastien Chain and Larry Sherlock

Topic: New IRS Voluntary Disclosure Practice:  Domestic Criminal Violations, Foreign Accounts and Cryptocurrency

Late in 2018, the IRS ended its Offshore Voluntary Disclosure Program for willful violations of foreign bank account reporting, but leaving in place its existing practices for reporting non-willful violations.  A few months ...