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Procedural Taxation Library  
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Procedural Taxation Library is a premium practice and procedure library for those whose job it is to represent taxpayers before the IRS and in the courts.
Federal Tax Collections, Liens & Levies
Chapter 1: Introduction to Federal Tax Collection
Chapter 2: Assessments
Chapter 3: Termination, Jeopardy, and Bankruptcy Assessments
Chapter 4: Tax Payments
Chapter 5: Interest
Chapter 6: General Limitations Period on Assessments
Chapter 7: Exceptions From General Limitations Period
Chapter 8: Statute of Limitations on Collection
Chapter 9: Creation of Lien
Chapter 10: Notice of Lien: Filing and Recording Requirements
Chapter 11: Priorities
Chapter 12: Administrative Relief From Tax Lien
Chapter 13: Tax Levy and Seizure
Chapter 14: Sale of Seized Property
Chapter 15: Judicial Enforcement of Tax Collection
Chapter 16: Foreign Enforcement of U.S. Tax Liability
Chapter 17: Criminal Issues Arising in Federal Tax Collection
Chapter 18: Transferee Liability
Chapter 19: Tax Collection in Insolvency
Chapter 20: Tax Collection in Bankruptcy
Chapter 21: Collection Agreements
Chapter 22: Offers in Compromise
Chapter 23: Closing Agreements
Chapter 24: Collection of Estate and Gift Taxes

IRS Practice & Procedure
Chapter 0: Author's Note
Chapter 1: The IRS as an Administrative Agency
Chapter 2: Taxpayer Access to Information
Chapter 3: Statements of IRS Position and Practice
Chapter 4: Returns
Chapter 5: Statutes of Limitations
Chapter 6: Interest
Chapter 7A: Criminal Penalties
Chapter 7B: Civil Penalties
Chapter 8: The Examination Function
Chapter 9: The Appeals Function
Chapter 10: Assessment Procedures
Chapter 11: Overpayment, Refund, Credit, and Abatement
Chapter 12: The Criminal Investigation Function
Chapter 13: The Service's Investigatory Powers
Chapter 14: The Tax Collection Function: Tax Liens and Levies
Chapter 15: Avoiding and Minimizing the Effect of Tax Liens and Levies
Chapter 16: Priority of Tax Claims
Chapter 17: Collection From Nontaxpayers--Transferee Liability

Litigation of Federal Civil Tax Controversies
Chapter 1: Selection of Tax Litigation Forum
Chapter 2: Tax Court Jurisdiction and Structure
Chapter 3: Statutory Notice of Deficiency
Chapter 4: Petition for Redetermination
Chapter 5: Pleadings and Motions
Chapter 6: Stipulations for Trial and Discovery Procedures
Chapter 7: Pretrial Procedures
Chapter 8: Trial Proceedings
Chapter 9: Litigation of Partnership Items
Chapter 10: Special Proceedings
Chapter 11: Post-Trial Proceedings
Chapter 12: Refund Claims
Chapter 13: Periods of Limitations for Filing Claims for Refund
Chapter 14: Administrative Procedures on Filing Refund Claim
Chapter 15: Jurisdictional Prerequisites and Pretrial Considerations for Tax Refund Litigation
Chapter 16: Special Refund Litigation Considerations
Chapter 17: Commencement of Tax Refund Suit and Initial Pleadings
Chapter 18: Pretrial Procedure
Chapter 19: Post-Trial Procedures
Chapter 20: Other District Court Civil Tax Litigation
Chapter 21: Actions for Declaratory Judgment
Chapter 22: Res Judicata and Collateral Estoppel in Civil Tax Litigation
Chapter 23: Recovery of Attorney's Fees and Extraordinary Costs in Civil Tax Litigation
Appendix A. Rules of the United States Court of Federal Claims
Appendix B. Rules of Practice and Procedure of the United States
Tax Court
Appendix C. Notes to Rules of Practice and Procedure of the United States
Tax Court

Tax Fraud & Evasion: Offenses, Trials, Civil Penalties [Volume I]
Chapter 1: History
Chapter 2: Offenses Under the Internal Revenue Code
Chapter 3: Related Title 18 Offenses
Chapter 4: Criminal Investigations and Case Processing
Chapter 5: The Federal Grand Jury
Chapter 6: Pretrial Proceedings in Criminal Cases
Chapter 7: Trial Problems
Chapter 8: Civil Fraud Penalties
Chapter 9: Litigating the Taxpayer Civil Fraud Case
Chapter 10: Basic Defense Strategies and Techniques

Tax Fraud & Evasion: Money Laundering, Asset Forfeiture and Related Topics [Volume II]
Chapter 11: Monetary and Currency Offenses
Chapter 12: Code Forfeitures and Extraordinary IRS Seizure Remedies
Chapter 13: Civil and Criminal Money-Laundering Forfeitures
Chapter 14: Constitutional Privileges--Fourth Amendment
Chapter 15: Constitutional Privileges--Fifth Amendment and Sixth Amendment
Chapter 16: Sentencing for Tax, Money-Laundering, and Currency-Reporting Offenses
Chapter 17: Sentencing Guidelines (Adjustments, Enhancements, and Departures) Applicable to Tax, Money-Laundering, and Currency-Reporting Offenses



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