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DTSTART;TZID=America/Chicago:20210520T090000
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UID:121511-1621501200-1621508400@www.fedbar.org
SUMMARY:Kansas & Western District of Missouri Chapter: Courts Problem-Solving in COVID-19 Times: What the Judges Want You to Know
DESCRIPTION:Taking both a forward and backward look at trials and oral arguments. Five area judges share their experiences and insight on the impact of COVID-19 on trials and oral arguments. To round out the judicial lens\, three practitioners who have had significant experience with trials and/or oral argument in COVID-19 times share their experiences and views on the impact COVID-19 has had on trials and oral argument as well as on their respective practices. \nPresented by: Kansas & Western District of Missouri Chapter \n\nAbout the Presenters\n\nHon. Duane Benton\, Circuit Judge for the U.S. Court of Appeals for the Eight Circuit\nBrian Casey\, who is the Appellate Chief at the Western District of Missouri’s United States Attorney’s Office\nAthena Dickson of Siro Smith Dickson PC\, who is the immediate past president of the Kansas City Metropolitan Bar Association \nHon. Beth Phillips\, Chief District Judge for the U.S. District Court for the Western District of Missouri\nHon. Cindy Martin\, Chief Judge for the Missouri Court of Appeals\, Western District\nHon. Eric Melgren\, District Judge for the U.S. District Court for the District of Kansas\nJeffrey D. Morris\, Partner\, Berkowitz Oliver\, LLP\nHon. Dale Youngs\, Presiding Judge for the 16th Circuit Court of Jackson County\, Missouri.\n\n\nRegistration\nRegistration for this event is now closed.  \nLive Captioning: Should you request live captioning or another accommodation in order to participate in this webinar\, please contact meetings@fedbar.org at least 10 days before the event so we may make the necessary arrangements. \nCancellation Policy: No refunds will be made for cancellations received after the close of business on April 12\, 2021. No-shows will be billed. Substitutions may be made at any time upon notification. Please contact Ariel White at awhite@fedbar.org with cancellation and/or substitution requests. \nInternet Requirements: Virtual programs require suitable internet strength to stream online panels. A minimum internet connection of 800 Kbps is recommended for an optimal attendee experience. Test your connection here.  \n\nCLE\n*Pending confirmation \n\nEmail Communication Policy: By registering for this event\, you agree to receive email communications from the Federal Bar Association and affiliated sponsors of the program concerning event details\, Continuing Legal Education certification\, programming changes\, upcoming events\, surveys\, and post-event communications. \nRecording Disclaimer: By registering for an FBA webinar\, you agree to the recording of audio and visual content presented during the live event and consent to subsequent use of the recording by the FBA. You agree that the recording is the sole property of the FBA and that the recording may be used by the FBA in any manner in its sole and absolute discretion. This recording may include questions and poll responses provided by you during the live event. If you do not consent to the recording and the FBA’s use of the same\, do not register for the event.
URL:https://www.fedbar.org/event/kansas-western-district-of-missouri-chapter-courts-problem-solving-in-covid-19-times-what-the-judges-want-you-to-know/
LOCATION:Online\, US
CATEGORIES:Kansas Chapter
GEO:37.09024;-95.712891
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DTSTART;TZID=America/New_York:20210520T120000
DTEND;TZID=America/New_York:20210520T130000
DTSTAMP:20260515T163845
CREATED:20210430T175005Z
LAST-MODIFIED:20210503T143803Z
UID:125124-1621512000-1621515600@www.fedbar.org
SUMMARY:Section on Taxation Round Table: Update on IRS High Net Worth Audit Campaign and Other Initiatives
DESCRIPTION:This roundtable will discuss recent and ongoing IRS tax enforcement measures targeted towards high net worth individuals\, including the Global High-Wealth Audits campaign.  Attendees will hear about where the IRS is focusing its resources\, coordination between civil and criminal investigations\, potential effects of the Biden Administration’s push to make high net worth individuals pay their fair share of taxes\, and future compliance targets by revenue agents. \n[Registration Online] \n\nAbout the Presenters\n \nEdward L. Froelich\, Of Counsel\, Morrison & Foerster LLP \nEdward Froelich represents clients in audit and litigation and is the lead of the firm’s Federal tax controversy group. He is a former trial attorney of the Department of Justice Tax Division where he litigated numerous cases\, including complex corporate refund cases. In private practice he continues to litigate cases and represents clients in administrative controversies at both the audit and appeals level before the IRS. His experience has been crucial to securing favorable resolutions of matters with the IRS Appeals Office and in the field. Ed represents domestic and foreign public companies\, privately-held companies\, partnerships\, trusts\, and individuals. Many of his clients are in the financial\, technology\, and real estate industries. He has successfully dealt with a variety of issues including international tax\, transfer pricing\, income tax accounting\, employment tax\, accounting method and penalty issues. Ed also regularly advises on privilege and work product questions and on various procedural issues including the obligation to file information returns such as those relating to many of the Form 1099 series\, FATCA and employment taxes. \nJennifer M. O’Brien\, Counsel\, Fox Rothschild LLP \nJennifer is an experienced advisor who routinely advises and represents financial institutions and high-net-worth individuals on complex international and federal tax matters. Her practice covers all facets of the tax dispute resolution process\, including IRS examinations and appeals\, litigation of civil and criminal tax matters\, and governmental investigations. With corporate and individual clients spanning five continents\, Jennifer has extensive experience managing U.S. compliance and enforcement issues arising from international and offshore circumstances as well as undeclared virtual currency. Having practiced in Switzerland for nearly five years\, Jennifer brings a unique perspective to her clients’ dealings with U.S. and foreign tax authorities. She also counsels clients on relinquishment of U.S. citizenship and abandonment of lawful permanent resident status. \n\nRegistration & Attendance Information\n[Registration Online] \nCall In Information \nJoin on your computer or mobile app \nClick here to join the meeting \nOr call in (audio only) \n+1 571-616-0550 \nPhone Conference ID: 153 328 787# \nGround Rules \n\nStatements made by government employees are made in their personal capacity and may not be relied upon as an authorized statement of any government agency.\nNo recording devices allowed.\nFBA Tax Section membership is not required to participate\, but you are encouraged to visit https://www.fedbar.org/membership/for information on becoming a member.\n\nInterested in Speaking? If you are interested in leading a future monthly call\, please contact cfederico@crowell.com or brandon.king@bakermckenzie.com.
URL:https://www.fedbar.org/event/section-on-taxation-round-table-update-on-irs-high-net-worth-audit-campaign-and-other-initiatives/
LOCATION:Online\, US
CATEGORIES:Section on Taxation
GEO:37.09024;-95.712891
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