Legal Articles, Tax Litigation
Property Tax Appeals under the "60 Day" Rule
Purchasers of property in Maryland should be aware of the "60 Day" rule for appealing property tax assessments.
Maryland Appeals Court Expands "Date of Finality" Rule
This article analyzes a recent decision by the Maryland Court of Special Appeals concerning the interpretation of the “date of finality” rule, which was thought by many practitioners to limit the consideration of comparable sales to a time frame before January 1.
When planning tax strategies, consider Florida property division law
Financial advice that works well at tax time may prove to be disastrous when divorce enters the picture.
Avoid future Penalties & the Tax Gap for your business by getting tax help.
It is very important to avoid all types of tax penalties. Failing to pay taxes or underpaying taxes can lead to you paying penalties. If you don’t pay enough by the due date of each payment period then you are becoming liable for a penalty.
How to gear up for tax law changes rolling out in 2014 by NYC Tax Advisors
These changes will have at least some impact on all individual and family policy holders and will also affect grandfathered policies that were effective on or before March 23, 2010.
Fulton County Bd. of Tax Assessors v. Calliope Properties, LLC
Fulton County appeals award of attorney's fees granted in ad valorem property tax appeal case.
Sherman v. Fulton County Board of Assessors et al.
4-3 decision of the Supreme Court of Georgia, reversing the trial court, completely decimating the sham, "phantom" bond financing structure practiced in Georgia, geared solely towards affording an unconstitutional tax abatement in favor of the developer/lessee.
Sherman v. Development Authority of Fulton County et al.
Development Authority of Fulton County Gets Spanked Again By the Georgia Court of Appeals.
The Court of Appeals vacates yet another fraudulent and sham "phantom" bond validation order coming out of the Superior Court of Fulton County. I represented the prevailing Appellant John S. Sherman.