• Non-Traditional Uses of Offers in Compromise During Tax Controversies, by Frank Agostino, Esq. and Valerie Vlasenko, Esq.
• United States Tax & The Accidental Americans, by Frank Agostino, Esq. and Joseph A. Stackhouse, Jr.
• Reporting Transfers from U.S. Taxpayers to Foreign Corporations—IRS Form 926, by Frank Agostino, Esq. and Victor M. Nazario, III
• TAC Tip: Section 72(t)(1): tax or penalty subject to Section 6751(B), by Frank Agostino, Esq. and Malinda Sederquist
• IRS Form 8938, Statement of Specified Foreign Financial Assets, by Frank Agostino, Esq. and Victor M. Nazario III, Esq.
• New York State Federal Change Reporting Requirements, by Frank Agostino, Esq. and Joseph A. Stackhouse, Jr.
• Nonresident Tax Reporting: Who, What, and How?, by Frank Agostino, Esq. and Eugene Kirman, Esq.
• Understanding & Challenging IRS Form 4340, Certificate of Assessment, Payments, and Other Specified Matters, in Civil Tax Controversies, by Frank Agostino, Esq. and Edward N. Mazlish, Esq.
• Reporting Requirements for Foreign Trusts with US Owners Form 3520-A, by Frank Agostino, Esq. and Edward Mazlish, Esq.
• When Can the IRS, NY, or NJ Tax the Worldwide Income of Resident or Non-resident Aliens?, by Frank Agostino, Esq. and Alec Schwartz, Esq.
• Tax Controversies and Form 5472’s Reporting and Record-Keeping Requirements of Foreign-Owned U.S. Corporations and Foreign Corporations Doing Business in the U.S., by Frank Agostino, Esq. and Phillip Colasanto, Esq.
• Reporting Federal Changes to the New Jersey Division of Taxation, by Frank Agostino, Esq. and Naché Patoir, Esq.
• How a Taxpayer Can Recover Fees & Costs from the IRS in Administrative Cases Going to the Appeals Office, by Frank Agostino, Esq. and Steven Lechter, JD.
• TAC Tip: Collection Alternatives and Unfiled Tax Returns for Individuals, by Desaturates Lazar, Esq.