IRS Audits in 30 Minutes
The audit process from initial contact through Appeals, and where a practitioner's involvement changes the outcome.
Part 1 — Selection, exam types, and information document requests
15 minPart 2 — The 30-day letter, Appeals, and when to bring in counsel
15 minLearning objectives
- Describe the stages of an IRS examination
- Identify the points where representation changes the outcome
- Distinguish correspondence, office, and field examinations
Presented by Thomas Ogden, Esq., Certified Specialist in Taxation Law, State Bar of California. Self-study activity, Law Offices of Thomas Ogden, MCLE provider no. 19437. Structured to meet CBA Regulations §§ 88.1–88.2 for self-study CE.
About the presenter
Thomas Ogden is a Certified Specialist in Appellate Law and in Taxation Law, certified by the State Bar of California Board of Legal Specialization, with more than 22 years in practice. He served as a Tax Law Advisory Commissioner to the State Bar of California's Board of Legal Specialization. His tax practice is controversy work: IRS and Franchise Tax Board examinations, Appeals, the Office of Tax Appeals, refund litigation, and the U.S. Tax Court, together with criminal tax defense and cross-border disputes. Much of his work comes by referral from CPAs and enrolled agents who want counsel involved before a civil matter becomes something else. He is also a solicitor (currently non-practising) in England and Wales and in Ireland.
Practice sites: appellate practice · tax controversy practice · Email: thomas@ogden.law
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