Expert Witness-419e,412i,Section 79,tax shelters,listed transaction

Expert Witness-419e,412i,Section 79,tax shelters,listed transaction

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    Copyright (C) 2010 - Lance Wallach

    Our team of experienced consulting "tax attorneys", CPAs, and "insurance experts" specializing in 412i" and "419 "IRS
    audits" that resulted from plans you sold to your clients, mainly "419 plans", "412i plans", "captive insurance" plans
    and "Section 79" plans as well as other similar "employee benefit plans" or "welfare benefit plans" that the IRS is
    targeting as "abusive tax shelters".

    Our firm has been successful in "defending life insurance agents" and "material advisors" who have participated in
    the sale of these "benefit plans".

    If you signed a return or participated in the sale of these "welfare benefit plans", you are probably a "material
    advisor" and subject to huge "IRS penalties and interest". No "Form 8886" or "Form 8918" that we have reviewed for
    new clients has been properly prepared, which leaves the "material advisor" subject to the $200,000 "IRS penalty".

    We fight for our clients to defend against the $200,000 IRS "6707A penalty" by providing "expert witness
    testimony". Lance's side has never lost a case!

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