CA State Income Tax (FTB) Lien Priority over Attorney
Posted: Wed May 15, 2019 5:20 pm
Thanks John. That's exactly what I have been looking for, without success. CA Gov't Code section 7173 seems on point to the issue, but if an exception along the lines of what I need is implied by its language, I am not understanding it as such. And I haven't yet found any case interpreting it.
Gary R. WallaceLaw Office of Gary R. Wallace10801 National Boulevard, Suite 100Los Angeles, CA 90064Email: garyrwallace@ymail.comOffice: (310) 571-3511
On Wednesday, May 15, 2019, 5:10:43 PM PDT, John Faucher j.d.faucher@sbcglobal.net [cdcbaa] wrote:
Is there a state equivalent of IRC 6323(b)(8)?
- John D. Faucher818/889-8080
On Wednesday, May 15, 2019, 2:17:17 PM PDT, 'Gary R. Wallace' garyrwallace@ymail.com [cdcbaa] wrote:
I do not know for certain that it has perfected the lien. But there is definitely no notice of lien filed (yet) in the underlying negligence action.
Gary R. WallaceLaw Office of Gary R. Wallace10801 National Boulevard, Suite 100Los Angeles, CA 90064Email: garyrwallace@ymail.comOffice: (310) 571-3511
On Wednesday, May 15, 2019, 1:47:04 PM PDT, Giovanni Orantes go@gobklaw.com [cdcbaa] wrote:
How did the FTB perfect a lien on the proceeds of litigation? I recall there is a specific way to perfect on contingent fees.
On Wed, May 15, 2019 at 1:15 PM 'Gary R.. Wallace' garyrwallace@ymail.com [cdcbaa] wrote:
If anyone has any thoughts on this issue, please contact me. Thanks.
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