Greg Armstrong of the KPMG's Washington National Tax practice, discusses the Ninth Circuit's Baldwin v. United States ruling that the taxpayers could not rely on the common-law mailbox rule to argue their refund claim was timely.
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Greg Armstrong of the KPMG's Washington National Tax practice, discusses the Ninth Circuit's Baldwin v. United States ruling that the taxpayers could not rely on the common-law mailbox rule to argue their refund claim was timely.