In 1994, the U.S. Tax Court decided a key case that gave plaintiff lawyers the ability to accept their contingent legal fees over time rather than in a lump sum. But recently, the IRS has suggested revisiting that. – Forbes – Channel Feed
In 1994, the U.S. Tax Court decided a key case that gave plaintiff lawyers the ability to accept their contingent legal fees over time rather than in a lump sum. But recently, the IRS has suggested revisiting that. – Forbes – Channel Feed