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Do you have “Rhythm”?
Posted on October 30th, 2009 No comments
In her article “Do you have “Rhythm”?” Donna Hover, CEO Advisor, addresses that there are three fundamental habits that companies must develop. The article does an excellent job of articulating the significance to a business of 1) establishing priorities or the importance of putting “First things First” as Steven Covey advises; 2) creating team “rhythm” through increased frequency of meetings; and 3) the importance of using data in making decisions for your organization.What I like about Donna’s writing style in this article is that it focuses on practical “Tune-up” tools as she calls them rather than get lost in the esoteric.
Click here to download a PDF of Donna’s Article
To get more info on Donna’s Company Click here
This article was written by Gary Field, CPA at Numerico, PC. Click here to view Numerico’s website.
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Tax Resolution Scams 101 Article
Posted on June 9th, 2009 No comments
Stephen J. Dunn, a specialist in tax and trust and estate law at Demorest Law Firm, PLLC, recently wrote an article entitled “Tax Resolution Scams 101”. In the article, Mr. Dunn explains how tax resolution operators use the premise of an offer-in-compromise (OIC) to defraud taxpayers out of several thousand dollars in retainer fees for nothing in return. The IRS almost never grants an OIC, upon any grounds. Mr. Dunn discusses how the filing of an OIC, in fact, harms the taxpayer in several ways, and he advises that taxpayers would be much better served by seeking an installment agreement from the IRS.Mr. Dunn suggests that legislation should be passed to outlaw false or misleading statements in the marketing of tax resolution services. Private civil actions against tax scammers are often impractical, though class-actions make more economic sense. In addition, the IRS can seek an injunction against a tax resolution scammer, and U.S. attorneys can prosecute tax scammers for wire and mail fraud, among other offenses.
Click here to download a PDF of the article.
This article was written by Stephen J. Dunn, Of Counsel to Demorest Law Firm. Click here to view his professional resume.
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The Pride of a Craftsman
Posted on May 26th, 2009 No comments
Demorest Law Firm is a member of the International Society of Primerus Law Firms, an international organization of smaller law firms. Demorest Law Firm is the exclusive member of Primerus‘ Business, Corporate and International group for the Detroit area.Membership in Primerus is very selective, and the member firms must abide by the Six Pillars of Primerus. In a recent article of Paradigm, Primerus‘ quarterly magazine, six members of Primerus were asked to write articles about the Six Pillars. Mark Demorest was asked to write about excellent work product. Although this article is directed at law firms, it is an important reminder for all businesses in what it takes to be successful.
A copy of his article from the Winter 2009 issue of Paradigm can be downloaded by clicking the link below.
This article was written by Mark S. Demorest, Managing Member of Demorest Law Firm. Click here to view his professional resume.
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The Troublesome Joint Tax Return
Posted on May 21st, 2009 1 comment
Stephen J. Dunn, a specialist in tax and estate planning issues at Demorest Law Firm, PLLC, recently wrote an article entitled “The Troublesome Joint Tax Return”. The article was published in the March/April 2009 issue of the EA Journal. This Journal is published by the National Association of Enrolled Agents, an organization representing professionals licensed to practice before the Internal Revenue Service. In the article Mr. Dunn discusses important factors in deciding whether one should file taxes jointly with their spouse.Mr. Dunn explains why a tax preparer should not allow spouses to sign a joint income tax return if there is substantial unpaid tax liability on the return with respect to only one of the spouses. Nor should a preparer allow the spouses to sign a joint income tax return if there are disallowable deductions or unreported income attributable to one of the spouses.
If the spouses have already filed a joint income tax return with substantial unpaid tax liability attributable to only one of the spouses, the prepared should consider filing a Form 8857 seeking relief under IRC Sec. 6015(f) for the innocent spouse. The Form 8857 may also assert IRC Sec. 6015(b) as an alternative for innocent spouse relief. This action could accomplish a great result for the innocent spouse.
The full article is now available for download in PDF format by clicking the link below.
This article was written by Stephen J. Dunn, Of Counsel to Demorest Law Firm. Click here to view his professional resume.




