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419 Alliance Updates

FAQs 6707A Q&As

Michael Lloyd hosts 6707A conference call for taxpayers - Five Questions in Five Minutes. Call date is March 12, 2013 at 5:00 es…

Failing to File Form 8886 for VEBAs like Sea Nine VEBA create multiple penalties.

IRS asserts multiple penalties when IRS Form 8886 is not filed

Ignorance of Listed Transaction Requirement provides no relief to 6707A penalty for 419 Taxpayers.

IRS provides no relief in 6707A cases for good faith and ignorance of the law.

Sea Nine VEBAs under attack by IRS

IRS Continuing to challenge Sea Nine VEBAs

IRS to Audit Sea Nine VEBA Participating Employers

In recent months, Williams Coulson tax attorneys have represented participants in the Sea Nine VEBA and have learned that the IR…

IRS Issues Final Sec. 6707A Regulations

On September 2, 2011, the IRS issued final regulations concerning the section 6707A penalty. Such a penalty is imposed on taxpa…

Mike Lloyd 419 Plan Interview

Tri State Tax Conference Presentation Interview With Michael Lloyd, Esq.

A Practitioner’s Guide to Protecting Taxpayers