CCH Tax Day Report The Tax Court had jurisdiction over an informer’s petition alleging that the IRS improperly reduced his whistleblower award to reflect the sequester imposed by the Budget Control Act of 2011. In an apparent case of first impression, the court concluded that the IRS made a determination of his award when it […]
The post Court Could Not Restore Sequester Reduction in Whistleblower’s Award; Petition Was Timely But Informer Had Waived Judicial Review (Whistleblower 4496-15w, TC) appeared first on Tax & Accounting Blog.