Majority Owner of Accounting Firm Found to Have Willfully Issued Erroneous Information Returns, Subjected to Penalties

As Neil Sadaka crooned, breaking up is hard to do.  And it certainly proved so for an accounting firm.  The acrimonious breakup did result in a tax case, this time looking at liability for filing a false information return under IRC §7434.

The Sixth Circuit court of appeals was called by both parties to review decisions of the U.S. District Court in the case of Pitcher and Enders v. Waldman, et al, CA6, Case Nos. 14-3369/14-3392, on appeal from the U.S District Court for the Southern District of Ohio.

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