Skip to content
Federal Tax Update: IRS Prepares to Challenge Kwong After Limited AOD on Abdo episode artwork

EPISODE · May 26, 2026 · 1H 20M

Federal Tax Update: IRS Prepares to Challenge Kwong After Limited AOD on Abdo

from FICPA Podcasts · host FICPA Podcasts

https://vimeo.com/1195148268?share=copy&fl=sv&fe=ci https://www.currentfederaltaxdevelopments.com/podcasts/2026/5/25/2026-05-25-irs-prepares-to-challenge-kwong-after-limited-aod-on-abdo This week we look at: Equitable Relief for Erroneous Tax Refunds: An Analysis of the Fourth Circuit's Reversal in LaRosa v. Commissioner Final Regulations Modify Information Reporting for Section 751(a) Partnership Interest Exchanges The Impermeable Reach of Section 6672: Joint and Several Trust Fund Liability and the Demise of the Delegation Defense The Taxpayer Due Process Enhancement Act (H.R. 6506): A Crucial Legislative Response to Commissioner v. Zuch Demystifying Notice 2026-33: Comprehensive Guidance on Qualified Long-Term Care Distributions under the SECURE 2.0 Act IRS Action on Decision: Decoding the Service’s Limited Acquiescence on Mandatory COVID-19 Postponements and the Road Ahead in Kwong

Episode metadata supplied by the publisher feed · Published May 26, 2026

Embed this episode

Ready to play

Federal Tax Update: IRS Prepares to Challenge Kwong After Limited AOD on Abdo

0:00 1:20:50

No transcript for this episode yet

We transcribe on demand. Request one and we'll notify you when it's ready — usually under 10 minutes.

No similar episodes found.

Frequently Asked Questions

How long is this episode of FICPA Podcasts?

This episode is 1 hour and 20 minutes long.

When was this FICPA Podcasts episode published?

This episode was published on May 26, 2026.

Can I download this FICPA Podcasts episode?

Yes. Use the download control on the episode player to save the publisher-provided media file.
URL copied to clipboard!