Thinking About Tax Malpractice: Outline and Hypotheticals

The Practical Tax Lawyer, Winter 2013

Chapman University Law Research Paper No. 13-4

12 Pages Posted: 7 Feb 2013 Last revised: 21 Mar 2013

See all articles by Michael B. Lang

Michael B. Lang

Chapman University, The Dale E. Fowler School of Law

Date Written: August 1, 2012

Abstract

There may be a lot of ethical traps that face the tax practitioner but there are also common-sense ways to avoid them.

Keywords: Injury, actual damages, causes of action, negligence, tax, tax practitioner, ethical, breach, competence fiduciary duty, Civil conspiacy, trade practices, securities, RICO, Lawyers, penalties, recovery,Duty of Attorney, Special Issues, Tax Law, Documents, Regulations, International, hypothetical

JEL Classification: A10, H7, K1, P34, H2, K34, H26, G20, G18, D83, D74, D63, A23

Suggested Citation

Lang, Michael B., Thinking About Tax Malpractice: Outline and Hypotheticals (August 1, 2012). The Practical Tax Lawyer, Winter 2013, Chapman University Law Research Paper No. 13-4, Available at SSRN: https://ssrn.com/abstract=2212870 or http://dx.doi.org/10.2139/ssrn.2212870

Michael B. Lang (Contact Author)

Chapman University, The Dale E. Fowler School of Law ( email )

One University Drive
Orange, CA 92866-1099
United States

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