The Employee Retention Credit has quickly become among the IRS’s highest enforcement priorities, especially as of the recent announcement that the IRS would partially lift a moratorium on processing claims that has been in place since September of 2023.
While the gears have started to turn, many businesses that the ERC was intended to help continue to wait for much needed refunds, but with little to no guidance on how to manage their current tax reporting. At the same time, the IRS continues to struggle with how to address the billions of dollars in potentially illegitimate ERC claims. Under these pressures, it appears that the landscape surrounding ERC claim processing and enforcement is shifting from week to week.
This course will take stock of the IRS’s current position on the ERC, what lead to the current state of the ERC, and what to expect going forward.
Learning Objectives:
Kostelanetz LLP
Attorney
[email protected]
(212) 808-8100
Since joining Kostelanetz, LLP in 2003, Christopher M. Ferguson has concentrated his practice in the areas of complex commercial litigation, civil and criminal tax litigation, and other white-collar criminal and regulatory enforcement matters. He represents clients in both federal and state courts, as well as before governmental agencies and other regulatory bodies, including the Department of Justice, the Internal Revenue Service, the Securities and Exchange Commission, and the New York Stock Exchange.