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Hudson Business Service
Serving Pittsburgh, Butler and the entire tristate area.
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April 2023

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

Modern-Day Pillory: Naming, Shaming, And Third-Party Access To Taxpayer Data

Tax NewsBy April 17, 2023

Nana Ama Sarfo discusses a recent European Court of Human rights ruling on Hungary’s public tax defaulter list and argues that European tax authorities should revisit their taxpayer data protections in the wake of the ruling. – ​Forbes – Taxes

​Read More

 

If You Have To Repay Compensation, Will IRS Refund The Taxes?

Tax NewsBy April 17, 2023

In general, the IRS doesn’t allow you to undo a prior transaction as if it never occurred unless the pay and its return both occur in the same year. In most cases, the giveback happens in a later tax year. Amending a prior tax return is generally allowed only to correct a mistake. – ​Forbes – Taxes

​Read More

 

If You Have To Repay Compensation, Will IRS Refund The Taxes?

Tax NewsBy April 17, 2023

In general, the IRS doesn’t allow you to undo a prior transaction as if it never occurred unless the pay and its return both occur in the same year. In most cases, the giveback happens in a later tax year. Amending a prior tax return is generally allowed only to correct a mistake. – ​Forbes – Channel Feed

​Read More

 

Tax Court Rules IRS Does Not Have Statutory Authority To Assess Penalties For Failure To File Form 5471

Tax NewsBy April 16, 2023

Every now and again, a case comes across your desk that makes you say, “Whoa.”
Alon Farhy v. Commissioner is just such a case.
The Tax Court gave Farhy a win, ruling that the IRS could not collect from him in this instance—the IRS had no statutory authority to assess penalties under section 6038. – ​Forbes – Taxes

​Read More

 

Tax Court Rules IRS Does Not Have Statutory Authority To Assess Penalties For Failure To File Form 5471

Tax NewsBy April 16, 2023

Every now and again, a case comes across your desk that makes you say, “Whoa.”
Alon Farhy v. Commissioner is just such a case.
The Tax Court gave Farhy a win, ruling that the IRS could not collect from him in this instance—the IRS had no statutory authority to assess penalties under section 6038. – ​Forbes – Taxes

​Read More

 

Tax Court Rules IRS Does Not Have Statutory Authority To Assess Penalties For Failure To File Form 5471

Tax NewsBy April 16, 2023

Every now and again, a case comes across your desk that makes you say, “Whoa.”
Alon Farhy v. Commissioner is just such a case.
The Tax Court gave Farhy a win, ruling that the IRS could not collect from him in this instance—the IRS had no statutory authority to assess penalties under section 6038. – ​Forbes – Taxes

​Read More

 

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P: (724) 283-2831 | F: (724) 283-2834316 West Cunningham St., Butler PA,16001

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