Blank Rome’s Tax Controversy Watch blog is focused on addressing and providing a comprehensive review of the latest developments in the tax controversy field.

Blank Rome’s Tax Controversy practice group is comprised of experienced attorneys who have handled all aspects of tax controversy matters, including criminal tax investigations and prosecutions, civil tax matters before the Internal Revenue Service (“IRS”), including audits, appeals, and collection matters, as well as tax litigation in the U.S. Tax Court, U.S. Court of Federal Claims, and U.S. District Courts. Blank Rome attorneys frequently advise clients on international tax compliance issues, including foreign bank account reporting (“FBAR”), the Foreign Account Tax Compliance Act (“FATCA”), and the IRS’s voluntary disclosure programs for both domestic and offshore issues. The Tax Controversy practice group also has significant experience in advising clients on compliance issues arising under the Bank Secrecy Act, the USA Patriot Act, FATCA, the anti-money laundering laws and regulations, and economic sanctions regimes.

Blank Rome’s Tax Controversy practice group is comprised of individuals who have previously worked as Assistant U.S. Attorneys, Department of Justice trial attorneys, IRS counsel, Treasury Department officials, and certified public accountants. Click here to learn more about Blank Rome’s Tax Controversy practice group.

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