Publications / Press
- Pedram Ben-Cohen, presentation to CPAs, Taxation of Transferring Funds From Abroad
- Pedram Ben-Cohen selected to the Southern California Super Lawyers list in the field of Tax Litigation
- Photos of Pedram Ben-Cohen, presentation to Lawyers and CPAs, 33rd Annual UCLA Tax Controversy Institute
- Pedram Ben-Cohen, presentation to Lawyers and CPAs, UCLA Tax Controversy Institute, Should Your Cannabis or Bitcoin Client Consider Taking the Fifth?
- Pedram Ben-Cohen, presentation to CPAs, Offshore Bank Account Reporting and Compliance Options
- OVDPs: The IRS Should Put Its Money Where Its Mouth Is
Tax Notes International - Pedram Ben-Cohen quoted by Forbes Magazine, Family Secrets — As the government closes in, the owners of offshore accounts, and their heirs, face legal perils and tricky choices
- Pedram Ben-Cohen, letter to clients and CPAs, IRS Finally Does The Right Thing! Huge Changes to the IRS Offshore Voluntary Disclosure Program
- Pedram Ben-Cohen quoted by Forbes Magazine, In Reversal, IRS Gives Amnesty To Owners Of Secret Israeli Bank Accounts
- Pedram Ben-Cohen quoted by SonntagsZeitung, one of the mostly widely circulated newspapers in Switzerland
- Pedram Ben-Cohen quoted by Bloomberg, Bank Leumi, Mizrahi Clients Said to Aid U.S. Tax Probe, Pages 3-4
- IRS’s Offshore Bait and Switch: The Case for FAQ 35
Daily Tax Report1 - National Taxpayer Advocate, Report to Congress, June 30, 2011, discussed the issues raised in, Pedram Ben-Cohen, IRS’s Offshore Bait and Switch: The Case for FAQ 35, 46 DTR J-1 (Mar. 9, 2011), and cited the article for the proposition that “The IRS’s inconsistency and failure to follow its published guidance damaged its credibility with practitioners and could be subject to legal challenge”
- Pedram Ben-Cohen, letter to CPA Firm summarizing key provisions of the Foreign Account Tax Compliance Act (FATCA)
- Pedram Ben-Cohen, presentation to CPAs, Offshore Voluntary Disclosure Program
- Ben-Cohen Law Firm, Newsletter, IRS Cracks Down on Unreported Overseas Accounts
- Pedram Ben-Cohen, presentation to CPAs, Circular
- Ben-Cohen Law Firm, Newsletter, OFAC & the Iranian Sanctions Regime
- New Safe Harbor For Like-Kind 1031 Exchanges
Real Property Section Review, Los Angeles County Bar Association, Volume V, Issue 4 - Ben-Cohen Law Firm, Newsletter, New Safe Harbor For Like-Kind 1031 Exchanges
- Pedram Ben-Cohen, presentation to CPAs, Common Tax Issues in a Bad Economy, IRS Red Flags & Transactions in Property
- Pedram Ben-Cohen, presentation to CPAs, Tax Issues in Bankruptcy and Insolvency Restructurings
- Payments by Majority Shareholders to Minority Shareholders to Secure Change in Control: Ordinary Income or Capital Gain?, Daily Tax Report
By Pedram Ben-Cohen - Consideration of Subject Matter Jurisdiction of District Courts Required When Preparing Cases Where Taxpayers Seek Solely Statutory Interest, Daily Tax Report
By Pedram Ben-Cohen - The Real Estate Exception To The Passive Activity Rules In Mowafi v. Commissioner And The New Burden Shifting Statue, The Tax Lawyer
By Pedram Ben-Cohen - Public Civil Defenders: A Right To Counsel For Indigent Civil Defendants
By Pedram Ben-Cohen & Simran Bindra