We previously wrote two blog posts about the 2nd International Conference on Taxpayer Rights held in Vienna, Austria in March 2017 here and here. Videos of each panel discussion are now available for viewing here. Planning is currently underway for the 3rd International Conference on Taxpayer Rights, which will be held in The Netherlands on May 3-4.
Taxpayer Rights Around the World (Follow-Up)
By Andrew R. Roberson on May 4, 2017
Tags: Base Erosion and Profit Shifting, CbC reporting, country-by-country reporting, financial reporting transparency frameworks, Internal Revenue Code Section 7803(a), Internal Revenue Service, International Conference on Taxpayer Rights, international taxation, IRS, Multi-Jurisdictional Disputes, Mutual Agreement Procedures, National Taxpayer Advocate, Organisation for Economic Co-operation and Development, tax administration, Taxpayer Bill of Rights, taxpayer rights, TBOR, United States Freedom of Information Act

Andrew (Andy) R. Roberson focuses his practice on tax controversy and litigation matters. He represents clients before the Internal Revenue Service (IRS) Examination Division and Appeals Office and has been involved in over 75 matters at all levels of the federal court system, including the US Tax Court and Federal District Courts, several US Courts of Appeal and the Supreme Court. Andy has experience settling tax disputes through alternative dispute resolution procedures, including Fast Track Settlement and Post-Appeals Mediation, and in representing clients in Compliance Assurance Process (CAP) audits. In addition to representing corporations and partnerships in tax disputes, he also represents high net-worth individuals and assists taxpayers needing to make voluntary disclosures. Read Andy Roberson's full bio.
Related Posts
- Taxpayer Rights Around the World (Part 1)
- Taxpayer Rights Around the World (Part 2)
- Revenue Procedure 2017-23: IRS Releases Guidance on Form 8975 and Country by Country Reporting
- Taxpayer Bill of Rights | Another Tool for Taxpayers?
- Tax Court: Prior Closing Agreement May Have Relevance in Coca-Cola’s Transfer Pricing Case
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