Worker-classification audits can be incredibly fact intensive because the issue usually hinges on a set of 20 factors set forth in IRS published guidance. These types of cases can consume significant amounts of client time and money, even though the amounts in dispute are generally not great. This program will examine statutory and administrative programs available to practitioners to resolve worker classification disputes while minimizing the expense of the representation.
Topics covered:
- Relief under Section 530
- Voluntary Classification Settlement Program (VCSP)
- Tax Court Cases
Jane, AZ
"Absolutely wonderful webinar. In addition to the "facts" provided by IRS, presenter addressed the many nuances on interpretation of the facts and the various options/strategies/cautions in negotiating with IRS in cases where they challenge employee classifications. Packed with great info and presented in clear, straightforward manner. A tremendous resource for any business evaluating employee/contractor issues."Norma, TX
"Since I have been attending these free webinars through your company, I have gained a lot of knowledge where I didn't have before. Thank you very much for providing us with these webinars"Fred, FL
"Presenter very knowledgeable. Enjoyed immensely his presentation. Even worthwhile to stay over to catch the part he could not present within the allotted time."John, CA
"PRESENTATION DEFINITELY INCREASED MY KNOWLEDGE BASE ON THE SUBJECT...A different perspective provided. A great presentation."Judith, MD
"Chad was very knowledgeable and had so much information to share. This could have easily been a 1 1/2 hour seminar"Willie, NY
"It was appreciative that the presentor tookth eextra time to complete the presentation without rushing throuhit"pete, CO
"Chad has extensive knowledge of, and provided excellent info on, the employee v contractor issue"Thomas, VA
"knowledgeable presenter, but does not easily transfer knowledge. Needs a smoother presentation"
Nardiello Law
Principal Attorney
chad@nardiellolaw.com
(310) 201-0123
Chad Nardiello is a tax attorney that specializes in civil and criminal tax controversy and litigation matters. He represents clients at all phases of the tax controversy process, including before the Internal Revenue Service (“IRS”) Examination Division (a.k.a. the audit stage) and Appeals Office, during the criminal investigation process, as well as in litigation in the US Tax Court, US Court of Federal Claims, US District Courts, US Bankruptcy Courts and US Courts of Appeal. Mr. Nardiello also represents taxpayers involved in state tax controversy matters, including disputes involving the California Franchise Tax Board, the State Board of Equalization and the Employment Development Department.
Mr. Nardiello previously served as a Trial Attorney with the United States Department of Justice (DOJ), Tax Division, in Washington, D.C., where he represented the United States and the IRS in the litigation of federal tax matters in United States District and Bankruptcy Courts. While working at the DOJ, he was twice honored with a Special Commendation, which is an award given by the United States Assistant Attorney General in recognition of achieving success in litigating a matter of significance to the interests of the United States government. Mr. Nardiello was also selected to serve as a mentor in the United States Attorney General’s Honors Program to incoming attorneys to the Tax Division.
Both before and after leaving the DOJ, Mr. Nardiello worked as a private practitioner specializing in tax controversy and litigation. He has significant private practice experience at the highest levels of the legal industry. Prior to starting the Firm, he practiced in the tax controversy and litigation group of Latham & Watkins, LLP, in Washington, D.C., which is one of the largest, most prestigious international law firms. While at Latham, Mr. Nardiello represented a variety of clients, including large multi-national (Fortune 500 companies) and international clients, and achieved success through trial, briefing without trial, settlements, and in the criminal investigatory process. Mr. Nardiello also practiced at one of the “Big Four” public accounting firms where he focused on tax planning for mergers and acquisitions.
Mr. Nardiello has a deep understanding of substantive tax law, accounting and tax return preparation. He has advised clients on the substantive aspects of transactional tax matters, as well as provide tax controversy advice during the planning stages of a transaction. With a Bachelor of Accountancy and significant experience preparing tax returns for businesses and individuals, Mr. Nardiello has developed the skills necessary to read, understand, and extract information from tax returns in furtherance of his role as a client representative.