Tax Law

Proof That Contract A Professional Tax Attorney For Your Litigation Will Help Your Case

Tax Attorney

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Investors who purchased or otherwise acquired shares between November 9, 2015 and November 14, 2016, inclusive (the "Class Period"), are encouraged to contact the Firm in advance of the January 17, 2017 lead plaintiff motion deadline. If you purchased shares of Ligand during the Class Period, please contact Joon M. Khang, Esquire, of Khang & Khang, 18101 Von Karman Avenue, 3rd Floor, Irvine, CA 92612, by telephone: (949) 419-3834, or by e-mail at joon@khanglaw.com . There has been no class certification in this case yet. Until certification occurs, you are not represented by an attorney. You may choose to take no action and remain a passive class member. The complaint alleges that Ligand made false and/or misleading statements and/or failed to disclose: that Ligand overstated the value of certain Deferred Tax Assets by about $27.5 million or 13%; that the Company's outstanding convertible senior unsecured notes due 2019 should have been classified as short-term debt rather than long-term debt as of December 31, 2015; that Ligand did not maintain effective controls over the accuracy and presentation of the accounting for income taxes related to complex transactions; that the Company lacked effective internal control over financial reporting; and that as a result of the above, Ligand's statements about its business, operations, and prospects were materially false and misleading and/or lacked a reasonable basis at all relevant times. When this information was revealed to the public, shares of Ligand declined in value, causing investors harm. If you wish to learn more about this lawsuit, at no charge to you, or if you have questions concerning this notice or your rights, please contact Joon M. Khang, a prominent litigator for almost two decades, by telephone: (949) 419-3834, or by e-mail at joon@khanglaw.com . This press release may constitute Attorney Advertising in some jurisdictions. Contact:

For the original version including any supplementary images or video, visit http://finance.yahoo.com/news/shareholder-alert-khang-khang-llp-165200905.html

Tax.rofessionals in local tax practice CPA, accountants, enrolled agents, attorneys have an inherent “conflict of interest” for aggressive representation of anyone client because they do not want to antagonize the local IRS revenue officer or examiner in a way that will have a negative impact on their other clients. Print it and sign it on line 9. I may be able to help you too. Knowledge of the administrative processes of the IRS is a distinct advantage in choosing your representative. Effect of Form 2848 – Power of Attorney: You are relieved of the following burden: Making appearances at any IRS office, including Washington, DC . : Many people do not qualify. Learn more » You want to negotiate a settlement with the IRS: The IRS has 2 settlement programs available. The IRS will sometimes lower or eliminate these fees with a well worded request.

Check out our Tax Attorney FAQ for some of the most common questions we get asked. The first is an IRS instalment Agreement which allows you to pay off your tax debt in monthly payments. While the top ... But unscrupulous tax resolution firms will not disclose this information to the taxpayer. This includes stopping IRS collections within 24 hours, and settling tax debt for much less than you owe. Other locations outside of the State include: Miami, La Vegas, Nevada, Austin, Texas, Houston, Texas, and Richmond, Virginia.