Our Publications

Basic Audit Techniques:Taxpayer Interviews

Charles Rettig, Esq.
Kathryn Keneally, Esq.

Journal of Tax Practice & Procedure August-September 2010

FOIA Requests: A Look Into the IRS Examination File

Charles Rettig, Esq.

Tax Analysts Tax Notes Today August 2010

Holistic Audits:The Price of Being Rich

Charles Rettig, Esq.
Kathryn Keneally, Esq.

Journal of Tax Practice & Procedure June-July 2010

A Return to Troy: Qars and the Civil Fraud Exception

Charles Rettig, Esq.

Tax Analysts Tax Notes Today June 2010

IRS Takes a Controversial Position on Uncertain Tax Positions

Charles Rettig, Esq.
Kathryn Keneally, Esq.

Journal of Tax Practice & Procedure April-May 2010

Tax Enforcement: Reading Tea Leaves in a Tax Gap

Charles Rettig, Esq.

Tax Analysts Tax Notes Today March 2010

How About a Second Chance-Recent Developments in Reducing the Convicted Tax Offender’s Time in Prison

Steven Toscher, Esq.
Barbara Lubin, Esq.

ABA-CLE Criminal Tax Fraud 2010

Message from the Institute Chair, Chuck Rettig

Charles Rettig, Esq.

Journal of Tax Practice & Procedure December 2009-January 2010

When Penalties Are Excessive – The Excessive Fines Clause as a Limitation on the Imposition of the Willful FBAR Penalty

Steven Toscher, Esq.
Barbara Lubin, Esq.

Journal of Tax Practice & Procedure December 2009-January 2010

Textron and Work Product Immunity: A Misguided Decision

Charles Rettig, Esq.
Kathryn Keneally, Esq.

Journal of Tax Practice & Procedure October-November 2009