Washington, D.C. Update! ?? The IRS ERC Investigations are ongoing—make sure you're ready. Connect with Thorn Law Group for top-notch legal guidance and representation. Don’t wait—secure your peace of mind today! Read Our IRS ERC blog below for more information! https://lnkd.in/epNt_7JT Read Managing Partner Kevin E. Thorn’s biography below! https://lnkd.in/eWx2vH-v Check out our website! Thornlawgroup.com ? Check out our Google Business Page: https://lnkd.in/eWTqk2UA Find us on YouTube: https://lnkd.in/espdqf8P Like us on Facebook: https://lnkd.in/gVJ9ssP Follow us on LinkedIn:?https://lnkd.in/eBiMxMVj Find us on Twitter: twitter.com/ThornTaxDC Like us on Instagram: https://lnkd.in/ekCUVFsC?? ? #IRSERCVoluntaryDisclosureProgram, #DCcriminaltaxattorney, #criminaltaxattorney #DCcriminaltaxattorney #IRSauditTaxInvestigations, #IRSERCInvestigations, #WashingtonDCTaxAttorney, #WashingtonDCTaxLawyer, #criminaltaxattorney, #IRSERCBusinessInvestigations,
Thorn Law Group的动态
最相关的动态
-
Get to know your local Chamber of Commerce! They are more than a channel for networking! They are a wealth of knowledge and they advocate for businesses! For example, the Corridor 9/495 Regional Chamber of Commerce recently shares this important update regarding the halting of the implementation of the Corporate Transparency Act’s (CTA) beneficial ownership reporting requirements.?Texas court issued a preliminary injunction barring the government from enforcing the CTA and its reporting requirements against anyone. ? ??Prior to the ruling, small businesses that met certain criteria would have had to file reports with the Department of the Treasury by January 1, 2025, or risk fines and criminal penalties. ? ?? The preliminary relief will remain in effect until the conclusion of legal proceedings, at which point the court may enter a permanent injunction.?Unless and until an appellate court overrules or narrows the injunction, no businesses are obligated to comply with the reporting requirements.
要查看或添加评论,请登录
-
New York’s LLC Transparency Act will go into effect on December 21, 2024, joining the Federal Corporate Transparency Act (CTA) in working to combat fraud, money laundering, tax evasion, organized crime and more. RPJ’s Jeffrey Blankstein, who recently wrote a three-part series on the CTA, explores how these laws differ and what they will mean for New York corporations in his latest article. Read more on our website: https://bit.ly/43Y3mJG
要查看或添加评论,请登录
-
Corporate Alert: Companies prepare for the upcoming open window in New York. RPJ’s Jeff Blankstein explains what this required corporate information transparency may mean to you: #legalnews #corporatelaw #companylaw #businessnews #ny #newyork #llcs #lawfirms
New York’s LLC Transparency Act will go into effect on December 21, 2024, joining the Federal Corporate Transparency Act (CTA) in working to combat fraud, money laundering, tax evasion, organized crime and more. RPJ’s Jeffrey Blankstein, who recently wrote a three-part series on the CTA, explores how these laws differ and what they will mean for New York corporations in his latest article. Read more on our website: https://bit.ly/43Y3mJG
要查看或添加评论,请登录
-
Could Trump Halt the Corporate Transparency Act? The Supreme Court just issued an order staying the Texas district court’s preliminary injunction against enforcing the Corporate Transparency Act (CTA). FinCEN has not issued anything in response yet, but will presumably soon announce a revised CTA filing deadline. FinCEN had previously extended the deadline to January 13. It remains possible - even likely - that?President Trump will issue an executive order delaying or preventing the CTA’s enforcement, or the lawsuit will be settled or withdrawn. GOP lawmakers also reintroduced a bill on January 15 to repeal the CTA. For further reading on the Corporate Transparency Act, check out this piece I wrote for Chauffeur Driven Magazine & Trade Show last year: https://lnkd.in/eishcUzc #CorporateTransparencyAct #CTA #SupremeCourt #ExecutiveOrder #FinCEN #TransparencyLaws #CorporateCompliance #Regulations
要查看或添加评论,请登录
-
?????? ?????????? ????????????: ?????????????????? ???????????????????????? ?????? ?????????????????????? ???????????????????? Weil, Gotshal & Manges LLP reports that the U.S. Courts of Appeals for the Fifth Circuit has reinstated the original filing deadlines for the Corporate Transparency Act (CTA), effective immediately. This decision overturns a previous district court injunction that had paused the enforcement of beneficial ownership information reporting requirements. ???????? ?????? ???????? ???? ????????: ?????????????????? ???????????? ????????????????: Companies formed before January 1, 2024, must comply with the reporting deadline by January 1, 2025. ?????????? ??????????: The Fifth Circuit ruled that the CTA aligns with Congress’s authority to regulate interstate commerce, particularly targeting anonymous business operations. ????????????????????'?? ????????????????: The court highlighted the importance of combating financial crime and safeguarding national security, noting the minimal burden on businesses, estimated at 90 minutes and $85 to comply. For businesses, it's crucial to prepare now for the impending deadlines to ensure compliance. For further details and legal guidance, contact the experts at Weil, Gotshal & Manges LLP. #CorporateTransparencyAct #LegalUpdate #BusinessCompliance #WeilGotshalManges https://lnkd.in/g3af9AA2
要查看或添加评论,请登录
-
The majority of solicitors do a good job. But what should happen when this is not the case? It's important that we have a robust approach in place. We're consulting on proposals to update our approach to issuing financial penalties to law firms and solicitors. These changes include: ?? The introduction of 'minimum fines' across all fine bandings ?? Greater clarity on accounting for the impact and harm caused by any misconduct ?? Clarifying our approach to convictions for drink driving Find out more and tell us your views ??
要查看或添加评论,请登录
-
The majority of solicitors do a good job. But what should happen when this is not the case? It's important that we have a robust approach in place. We're consulting on proposals to update our approach to issuing financial penalties to law firms and solicitors. These changes include: ?? The introduction of 'minimum fines' across all fine bandings ?? Greater clarity on accounting for the impact and harm caused by any misconduct ?? Clarifying our approach to convictions for drink driving Find out more and tell us your views ??
要查看或添加评论,请登录
-
?? Shield Your Sanity with Dallo Law Group! ?? As the IRS launches its "Protect Your Clients; Protect Yourself" campaign, it's a stark reminder that identity thieves are relentless in their pursuit. Protecting sensitive taxpayer information isn't just a priority—it's a necessity. At Dallo Law Group, we understand the evolving threats that tax professionals face. Our boutique tax law firm in San Diego is dedicated to resolving your tax issues, from tax debt relief to IRS tax appeals, ensuring you and your business stay protected. With our expertise, we aim to provide you with Peace of Mind in a world of constant cyber threats. Stay vigilant, stay informed, and let Dallo Law Group safeguard your financial future. ??? #TaxSecurity #IdentityTheft #TaxRelief #DalloLawGroup #PeaceOfMind #TaxLaw #SanDiego #TaxResolution #IRS #ProtectYourClients
要查看或添加评论,请登录
-
-
The majority of solicitors do a good job. But what should happen when this is not the case? It's important that we have a robust approach in place. We're consulting on proposals to update our approach to issuing financial penalties to law firms and solicitors. These changes include: ?? The introduction of 'minimum fines' across all fine bandings ?? Greater clarity on accounting for the impact and harm caused by any misconduct ?? Clarifying our approach to convictions for drink driving Find out more and tell us your views ??
要查看或添加评论,请登录