OregonFarmBureau
OregonFarmBureau
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Відео

SAE Production by Sierra Otley for #GrowingOregon Video Contest
Переглядів 272 роки тому
We’ve received our first Farm Bureau/Oregon FFA #GrowingOregon Video Contest entry! Please check out this video about SAE Cattle Production by Sierra Otley! FFA students: Learn how to earn over $500 for your FFA Chapter by participating in the #GrowingOregon Video Contest here: oregonfb.org/growingoregon/ (Please read instructions carefully!)
Hood River County farmer & farm employee discuss ag overtime
Переглядів 882 роки тому
The second part of our #FarmOfficeChat focuses on the ag overtime issue. Hood River County Farm Bureau President Devon Wells and Pepe Rivera, Wells & Sons orchard and warehouse manager, discuss the impacts a mandatory ag overtime law would have on local communities, small family farms, and farm employees. Devon and Pepe also talk about how farmers are price takers not price makers and what that...
Conversation with Hood River County farmer & farm employee
Переглядів 692 роки тому
OFB recently sat down for a #FarmOfficeChat with Hood River County Farm Bureau President Devon Wells and Pepe Rivera, Wells & Sons orchard and warehouse manager. In the first part of our two-part series, Devon and Pepe talk about their friendship, their roles on the farm, the farm owner/employee relationship, farmworker housing, why farmworkers return to a farm year after year, the family natur...
Why join Oregon Farm Bureau?
Переглядів 642 роки тому
County Farm Bureau leaders explain why they're members of Oregon Farm Bureau and why other farmers and ranchers should join, too. If you're not a member yet, please sign up today at oregonfb.org/join/ and make a difference for Oregon agriculture. Help us keep farming and ranching vital, viable, and sustainable in our state!
FRED Talks: Jason Flowers of Klamath-Lake County Farm Bureau
Переглядів 852 роки тому
In this episode of FRED Talks, OFB chats with 4th generation farmer Jason Flowers, president of Klamath-Lake County Farm Bureau. Flowers discusses what it was like on his farm during the extreme drought in the Klamath Basin, what Farm Bureau did to support its members, what he learned through the OFB Young Farmers & Ranchers Program, and much more. #FarmBureauFamily #GrowingOregon
FRED Talks: Roberta Gruber with FEELDS
Переглядів 312 роки тому
In the latest episode of FRED (Farming & Ranching Every Day) Talks, OFB has a conversation with Roberta Gruber, director of the Farm Employer Education & Legal Defense Service (FEELDS). Gruber describes what FEELDS is, why such a program is needed in Oregon agriculture, and what she loves most about her job. Learn more about FEELDS at oregonfb.org/feelds/.
Drought conditions with dryland wheat farmer Logan Padget
Переглядів 1092 роки тому
Logan Padget, chair of the OFB Young Farmers & Ranchers Committee, talks about how his dryland wheat farm in Sherman County has been impacted by the extreme drought and heat.
FRED Talks: Macy Rosselle
Переглядів 382 роки тому
In this episode of FRED (“Farming and Ranching Every Day”) Talks, we meet Macy Rosselle, an OFB Memorial Scholarship recipient. Macy talks about her experience working as a summer intern for Congressman Cliff Bentz and what it was like living in Washington, D.C.
FRED Talks: A conversation with Lane County Farm Bureau President Tiffany Monroe
Переглядів 892 роки тому
In the latest episode of FRED (“Farming & Ranching Every Day”) Talks, Lane County Farm Bureau President Tiffany Monroe discusses her recent meeting with U.S. Secretary of Ag Vilsack and Governor Brown about the impacts of the heat and drought on Oregon’s ag community, the importance of grassroots advocacy in agriculture, and what she loves about being a family farmer.
FRED Talks with Logan Padget, dryland wheat farmer
Переглядів 372 роки тому
In the latest episode of FRED (“Farming & Ranching Every Day”) Talks, take a ride in a combine with dryland wheat farmer Logan Padget, chair of the Oregon Young Farmers & Ranchers Committee. Learn how the drought has impacted Logan’s farm, about Oregon’s wheat industry, how a combine works, what wheat harvest is like, and about the YF&R program. #GrowingOregon
OFB FRED Talks: Jacque Duyck Jones
Переглядів 733 роки тому
The latest episode of OFB FRED Talks features Jacque Duyck Jones, member of Washington County Farm Bureau, who discusses her passion for ag education in the schools and for growing Kotata blackberries on her family farm.
OFB FRED Talks: A conversation with Shay Myers of Owyhee Produce
Переглядів 1343 роки тому
On the latest episode of FRED Talks, Shay Myers, CEO of Owyhee Produce, discusses ag labor shortages and how his farm decided to open up an asparagus field to the public for free picking rather than let the food go to waste. Myers also talks about sharing the story of agriculture on TikTok and LinkedIn, viral posts, and how other farmers must join him in explaining to the public how they grow f...
Ag Employers: Why Join FEELDS?
Переглядів 1443 роки тому
Learn about Oregon Farm Bureau's FEELDS Program, the Farm Employer Education & Legal Defense Service. This is an extremely valuable program for ag employers; FEELDS was created for the sole purpose of helping farmers and ranchers stay up-to-date and compliant with the changes in employment-related rules and regulations. The program is available exclusively to Farm Bureau members.
FRED Talks: Jon Iverson, AFBF YF&R Committee chair
Переглядів 303 роки тому
FRED Talks: Jon Iverson, AFBF YF&R Committee chair
Ag employers: Join the FEELDS Program
Переглядів 673 роки тому
Ag employers: Join the FEELDS Program
FRED Talks: A chat with a Hood River pear & apple orchardist
Переглядів 703 роки тому
FRED Talks: A chat with a Hood River pear & apple orchardist
Visit to an eastern Oregon cattle ranch
Переглядів 8363 роки тому
Visit to an eastern Oregon cattle ranch
Rodeo queen promotes mental health awareness
Переглядів 443 роки тому
Rodeo queen promotes mental health awareness
La Ley Familias Primero de Respuesta al Coronavirus PARTE 1: La Licencia Pagada por Enfermedad
Переглядів 883 роки тому
La Ley Familias Primero de Respuesta al Coronavirus PARTE 1: La Licencia Pagada por Enfermedad
Episode #5: OFB’s Dennis Myhrum retiring after 39 years of service
Переглядів 613 роки тому
Episode #5: OFB’s Dennis Myhrum retiring after 39 years of service
OFB Explains: The Family First Coronavirus Response Act ~ Part I: Paid Sick Leave
Переглядів 543 роки тому
OFB Explains: The Family First Coronavirus Response Act ~ Part I: Paid Sick Leave
How are farms protecting employees during COVID-19?
Переглядів 153 роки тому
How are farms protecting employees during COVID-19?
How are farms protecting employees during COVID-19? (with narration)
Переглядів 213 роки тому
How are farms protecting employees during COVID-19? (with narration)
Creciendo juntos durante COVID-19 (con narración)
Переглядів 873 роки тому
Creciendo juntos durante COVID-19 (con narración)
Growing together during COVID-19 (with narration)
Переглядів 343 роки тому
Growing together during COVID-19 (with narration)
Farm Bureau members: Take action to give farmers COVID-19 liability protection!
Переглядів 373 роки тому
Farm Bureau members: Take action to give farmers COVID-19 liability protection!
Creciendo juntos durante COVID-19
Переглядів 273 роки тому
Creciendo juntos durante COVID-19
Growing together during COVID-19
Переглядів 573 роки тому
Growing together during COVID-19
FRED Talks: Honeybees & ag: A conversation with a beekeeper
Переглядів 3674 роки тому
FRED Talks: Honeybees & ag: A conversation with a beekeeper

КОМЕНТАРІ

  • @PDXDrumr
    @PDXDrumr 4 місяці тому

    The OR farm bureau (non govt) raises money for Trump, his insurrectionist's, and anyone else who denys the constitution, and or democracy. Anti democratic is what you'd call these fools. Nuff said.

  • @PDXDrumr
    @PDXDrumr 4 місяці тому

    Well, considering im not a Nazi, like your boy Barry, i would never join. Amazing how uneducated you folks are.

  • @sarah_farm
    @sarah_farm 6 місяців тому

    We congratulate you, you are introducing us to the village and country life in a pure and clear way, with a nice level of sincerity.thank you

  • @daysrcdays
    @daysrcdays 7 місяців тому

    YO Shelly. I heard that you don't want to bail out Portland schools. Is this true? So that would mean a next generation of failed students would it not? I understand your opinion of public schools is unfavorable but you should understand that your small town may need a state bail out some day. I guess we could just ignore your plight if such a situation arises in the future. As a product of the Portlad public school system I get the feeling that our schools and teachers have always been fighting for money and always put last. If you want success for your small rural area. You will need for the entire state to succeed or we will end up like Mississippi or Alabama compleatly dependent on Federal support for mere existance. If our schools and teachers continue to be underfunded, OREGON falls behind! I assume you live in Oregon?

  • @mattalley4330
    @mattalley4330 11 місяців тому

    Went to school with him. Good dude.

  • @user-dy4kd7ti8c
    @user-dy4kd7ti8c Рік тому

    I work on tree farm in millbay bc

  • @christinegirtain3829
    @christinegirtain3829 Рік тому

    I would love to learn more about what went into the engineering of the picker. Thanks so much for this video.

  • @roastnetwork886
    @roastnetwork886 Рік тому

    Is there another industry where a company produces a product but is told by someone other than their customers how much they can charge?? We need more farmers and farm workers involved in the process. Let the public and the people involved set the standards.

  • @jonathanmarchese5597
    @jonathanmarchese5597 Рік тому

    Thank you very educational I never thought about it before

  • @notjoebiden5956
    @notjoebiden5956 Рік тому

    How much did your (OXBO?) picker machine cost?

  • @scottybabb6297
    @scottybabb6297 2 роки тому

    Mr. Flowers, have you encouraged your ranchers to use Managed Intensive Grazing practices? Ranching needs to evolve as the climate changes.

  • @gemmamagat3533
    @gemmamagat3533 2 роки тому

    Original tree very nice Here philipines artificial Christmas tree

  • @zeeshanvlogs2336
    @zeeshanvlogs2336 2 роки тому

    Hi from Pakistan

  • @denisepope6373
    @denisepope6373 3 роки тому

    Thank you....excellent interview! Very informative!

  • @antoniovaldivia6660
    @antoniovaldivia6660 3 роки тому

    Gai

  • @kimers12660
    @kimers12660 3 роки тому

    🌻 🐝 ......🌻........🌻......❣️👍🏽

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    SYNDICATED CONSERVATION EASEMENTS I have and do advise anyone who is considering entering into a syndicated conservation easement transaction today: do not even think about it. The litigation costs - let alone the time and energy - of a battle with the IRS simply cannot be understated. As a tax controversy and tax litigation expert witness who has never lost a case, I represent clients who have involvement with conservation easements. It is because of that representation, however, that no matter how much I think a particular conservation easement case has a very good chance of being decided in favor of the taxpayer, I know that such a victory may be Pyrrhic at best. Anyone considering whether to settle or fight in a conservation easement case should carefully consider the financial and emotional cost of litigation when evaluating a possible settlement. As I’ve said before, fighting the IRS can take an emotional and physical toll on a person. Contact me, Lance Wallach, at 516-236-8440 or wallachinc@gmail.com before the IRS contacts you.

  • @susiatysusi3225
    @susiatysusi3225 3 роки тому

    Good .

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The IRS has prevailed in more than three dozen conservation easement disputes in the Tax Court over the past year alone. On 9 July 2020, the Tax Court handed the IRS victories in four conservation easement disputes on the same day, on the basis that none of the easements were protected 'in perpetuity' under Code Section 170(h)(5)(A). The cases are: Englewood Place v. Commissioner, T.C. Memo. 2020-105, Maple Landing v. Commissioner, T.C. Memo. 2020-104, Riverside Place v. Commissioner, T.C. Memo. 2020-103, and Village At Effingham v. Commissioner, T.C. Memo. 2020-102. Lance Wallach receives hundreds of calls annually to help people fight the IRS and get their money back from the promoters of these scams. Google Lance Wallach and your advisor, who do you trust? 516-236-8440 wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    The IRS has repeatedly warned that partners involved in targeted syndicated conservation easements face the imposition of penalties, which could include: · An accuracy-related penalty under section 6662 (calculated in many cases at a 40 percent rate) · Alternatively, an accuracy-related penalty under section 6662A (calculated at either the 20 percent rate or 30 percent rate in the case of a non disclosed transaction). · The 75 percent civil fraud penalty under section 6663, in appropriate cases. Lance Wallach receives hundreds of calls annually to help people fight the IRS and get their money back from the promoters of these scams. Google Lance Wallach and your advisor, who do you trust? 516-236-8440 wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    The IRS has repeatedly warned that partners involved in targeted syndicated conservation easements face the imposition of penalties, which could include: · An accuracy-related penalty under section 6662 (calculated in many cases at a 40 percent rate) · Alternatively, an accuracy-related penalty under section 6662A (calculated at either the 20 percent rate or 30 percent rate in the case of a non disclosed transaction). · The 75 percent civil fraud penalty under section 6663, in appropriate cases. Lance Wallach receives hundreds of calls annually to help people fight the IRS and get their money back from the promoters of these scams. Google Lance Wallach and your advisor, who do you trust? 516-236-8440 wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The Internal Revenue Service has yet again publicly reiterated its commitment to challenge syndicated conservation easement transactions-transactions that it has, in recent years, labeled as “listed” transactions, tax-speak for “buyer beware.” In a recent press release, the IRS warned yet again that it believes that these easement deductions are “abusive transactions” and hinted that taxpayers can expect to face “new arguments” from its arsenal of legal theories. To add insult to injury, the IRS further cautioned that its newly-established “Office of Fraud Enforcement and the National Fraud Counsel are coordinating . . . to canvas cases for additional fraud considerations,” including civil fraud penalties and referrals to criminal investigation. The stakes, in other words, remain high for participants in syndicated conservation easement transactions. Lance Wallach receives hundreds of calls annually to help people fight the IRS and get their money back from the promoters of these scams. Google Lance Wallach and your advisor, who do you trust? 516-236-8440 wallachinc@gmail.com

  • @Co-km6cl
    @Co-km6cl 3 роки тому

    Awesome! Eat your veggies kids.

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The IRS previously identified certain syndicated conservation easements as “listed transactions” under Notice 2017-10-specifically, transactions for which investors in pass-through entities receive promotional material offering the possibility of a charitable contribution deduction worth at least two and half times their investment. Today’s release indicates that for many of these transactions, the deduction taken is significantly higher than 250% of the investment. Syndicated conservation easements were included on the IRS’s 2019 “dirty dozen” list of tax scams to avoid. Contact Lance Wallach before it's too late 516-236-8440 wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The IRS previously identified certain syndicated conservation easements as “listed transactions” under Notice 2017-10-specifically, transactions for which investors in pass-through entities receive promotional material offering the possibility of a charitable contribution deduction worth at least two and half times their investment. Today’s release indicates that for many of these transactions, the deduction taken is significantly higher than 250% of the investment. Syndicated conservation easements were included on the IRS’s 2019 “dirty dozen” list of tax scams to avoid. Contact Lance Wallach before it's too late. 516-236-8440 wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    Syndicated conservation easement transactions, and captive insurance, get audited by the IRS Service announced today a significant increase in enforcement actions for syndicated conservation easement transactions, a priority compliance area. According to the announcement, coordinated audits are being conducted throughout various examination divisions of the IRS. At the same time, the IRS Criminal Investigation division has criminal investigations underway in this area. Recently, the IRS has confirmed that 80% of taxpayers under audit for their micro-captive insurance have settled with the IRS. This has only fueled the position of the IRS, and it has now announced that 12 new IRS audit teams have been established. If you are in a captive or have use a conservation easement you must act quickly. Lance Wallach has helped hundreds of people in these plans fight the IRS and get their money back from the promoter that sold these scams. 516-236-8440. Google Lance Wallach and your advisor, who do YOU trust. wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    Conservation easements and Captive insurance, here comes the IRS With the increased reporting requirements, IRS audits of CONSERVATION easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. Contact the offices of Lance Wallach 516-236-8440 wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    Conservation easements and Captive insurance, here comes the IRS With the increased reporting requirements, IRS audits of CONSERVATION easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. Contact the offices of Lance Wallach 516-236-8440 wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    On 23 December 2016, the IRS published Notice 2017-10, which identified a specific type of conservation easement, a ‘syndicated’ easement transaction, as a ‘listed transaction.’ This type of conservation easement allows investors to obtain charitable contribution deductions that significantly exceed the value of their original investment in the entity that donates the easement, typically a partnership. Since the publication of Notice 2017-10, the IRS has audited numerous syndicated conservation easements, with dozens of these cases being docketed in the Tax Court. Micro-captive insurance audits: armed with significant Tax Court wins and the settlement of 80% of micro-captive taxpayer cases under audit, the IRS now has declared that it intends to collect a significant amount of revenue lost because of abusive micro-captive insurance transactions. Nevertheless, advisors continue to actively promote micro-captives, which makes it crucial that taxpayers seek guidance on the characteristics of bona fide insurance for income tax purposes. Anyone with questions regarding micro-captive insurance transactions and the increased enforcement actions by the IRS with respect to them should contact Lance Wallach. Wallachinc@gmail.com. Google Lance Wallach and your advisor: who do YOU trust. 516-236-8440

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    On 23 December 2016, the IRS published Notice 2017-10, which identified a specific type of conservation easement, a ‘syndicated’ easement transaction, as a ‘listed transaction.’ This type of conservation easement allows investors to obtain charitable contribution deductions that significantly exceed the value of their original investment in the entity that donates the easement, typically a partnership. Since the publication of Notice 2017-10, the IRS has audited numerous syndicated conservation easements, with dozens of these cases being docketed in the Tax Court. Micro-captive insurance audits: armed with significant Tax Court wins and the settlement of 80% of micro-captive taxpayer cases under audit, the IRS now has declared that it intends to collect a significant amount of revenue lost because of abusive micro-captive insurance transactions. Nevertheless, advisors continue to actively promote micro-captives, which makes it crucial that taxpayers seek guidance on the characteristics of bona fide insurance for income tax purposes. Anyone with questions regarding micro-captive insurance transactions and the increased enforcement actions by the IRS with respect to them should contact Lance Wallach. Wallachinc@gmail.com. Google Lance Wallach and your advisor: who do YOU trust. 516-236-8440

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    On Monday, December 21, 2020, Stein and Corey Agee of Atlanta, Georgia entered guilty pleas in federal court to conspiracy charges related to their roles in syndicated conservation easement transactions. These are the first guilty pleas related to the continuing IRS and Department of Justice criminal investigations across the country pertaining to easement transactions. In December 2017, the IRS issued Notice 2017-10, designating certain syndicated conservation easements as “listed transactions,” which are subject to significant scrutiny. The IRS has since announced syndicated conservation easement transactions as an area of focus for enforcement, by launching a Large Business & International Division (“LB&I”) compliance campaign in September 2018 and by including these transactions on the IRS’s annual “Dirty Dozen” list of tax scams in 2019 and 2020. In November 2019, with IR-2019-182, the IRS announced a “significant increase in enforcement actions,” explaining that coordinated examinations were being conducted by three IRS divisions: LB&I, Small Business & Self-Employed (“SBSE”), and Tax Exempt and Government Entities (“TGE”). The IRS also noted that it was working closely with the Department of Justice to pursue wrongdoers. The IRS explained they would be casting a broad net, pursuing those who promoted, assisted (e.g., appraisers and return prepayers), or participated in the transactions. Increased enforcement has resulted in many IRS victories in conservation easement cases. On October 1, 2020, IRS news release IR-2020-228 emphasized the IRS’s continued efforts to combat abusive syndicated conservation easement transactions. Lance Wallach has received hundreds of phone calls to fight the IRS and sue the promoters of these easement scams. call 516-236-8440. As an expert witness Lance Wallach has never lost a case. Google him and your advisor, who do YOU trust. wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    On Monday, December 21, 2020, Stein and Corey Agee of Atlanta, Georgia entered guilty pleas in federal court to conspiracy charges related to their roles in syndicated conservation easement transactions. These are the first guilty pleas related to the continuing IRS and Department of Justice criminal investigations across the country pertaining to easement transactions. In December 2017, the IRS issued Notice 2017-10, designating certain syndicated conservation easements as “listed transactions,” which are subject to significant scrutiny. The IRS has since announced syndicated conservation easement transactions as an area of focus for enforcement, by launching a Large Business & International Division (“LB&I”) compliance campaign in September 2018 and by including these transactions on the IRS’s annual “Dirty Dozen” list of tax scams in 2019 and 2020. In November 2019, with IR-2019-182, the IRS announced a “significant increase in enforcement actions,” explaining that coordinated examinations were being conducted by three IRS divisions: LB&I, Small Business & Self-Employed (“SBSE”), and Tax Exempt and Government Entities (“TGE”). The IRS also noted that it was working closely with the Department of Justice to pursue wrongdoers. The IRS explained they would be casting a broad net, pursuing those who promoted, assisted (e.g., appraisers and return prepayers), or participated in the transactions. Increased enforcement has resulted in many IRS victories in conservation easement cases. On October 1, 2020, IRS news release IR-2020-228 emphasized the IRS’s continued efforts to combat abusive syndicated conservation easement transactions. Lance Wallach has received hundreds of phone calls to fight the IRS and sue the promoters of these easement scams. call 516-236-8440. As an expert witness Lance Wallach has never lost a case. Google him and your advisor, who do YOU trust. wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    About 84 percent of syndicated easements were in some stage of an IRS audit, according to the finance committee report, Another IRS audit target is captive insurance. The IRS has long taken note of the rise of micro-captive insurance schemes, placing the scheme on the “Dirty Dozen” of tax schemes to avoid every year since 2014. Their investigations have heated up in recent years. Lance Wallach gets hundred of calls, call 516-236-8440 to help fight the IRS and to sue the salesmen that sold people these scams. As an expert witness his side has never lost a case. Google Lance Wallach and whoever sold you the scam, who do you TRUST. wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    About 84 percent of syndicated easements were in some stage of an IRS audit, according to the finance committee report, Another IRS audit target is captive insurance. The IRS has long taken note of the rise of micro-captive insurance schemes, placing the scheme on the “Dirty Dozen” of tax schemes to avoid every year since 2014. Their investigations have heated up in recent years. Lance Wallach gets hundred of calls, call 516-236-8440 to help fight the IRS and to sue the salesmen that sold people these scams. As an expert witness his side has never lost a case. Google Lance Wallach and whoever sold you the scam, who do you TRUST. wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    About 84 percent of syndicated easements were in some stage of an IRS audit, according to the finance committee report, Another IRS audit target is captive insurance. The IRS has long taken note of the rise of micro-captive insurance schemes, placing the scheme on the “Dirty Dozen” of tax schemes to avoid every year since 2014. Their investigations have heated up in recent years. Lance Wallach gets hundred of calls, 516-236-8440 to help fight the IRS and to sue the salesmen that sold people these scams. As an expert witness his side has never lost a case. Google Lance Wallach and whoever sold you the scam, who do you TRUST. Wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    About 84 percent of syndicated easements were in some stage of an IRS audit, according to the finance committee report, Another IRS audit target is captive insurance. The IRS has long taken note of the rise of micro-captive insurance schemes, placing the scheme on the “Dirty Dozen” of tax schemes to avoid every year since 2014. Their investigations have heated up in recent years. Lance Wallach gets hundred of calls, 516-236-8440 to help fight the IRS and to sue the salesmen that sold people these scams. As an expert witness his side has never lost a case. Google Lance Wallach and whoever sold you the scam, who do you TRUST. Wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The IRS released an advance version of Notice 2016-66 that identifies a type of transaction involving a “micro-captive insurance” structure as a “transaction of interest”-i.e., a tax avoidance transaction-for purposes of Reg. section 1.6011-4(b)(6) and sections 6111 and 6112. Notice 2016-66 [PDF 44 KB] states that these “micro-captive transactions” have the potential for tax avoidance or evasion. Taxpayers engaged in these transactions must disclose the transactions. A failure to disclose will be subject to the penalty under section 6707A or section 6707(a). in 2019, the IRS added syndicated conservation easement transactions to its annual "Dirty Dozen" list of tax scams. Lance Wallach has received hundreds of phone calls to fight the IRS, and to get all peoples money back from the promoters that sold these scam tax shelters. As an expert witness Lance Wallach has never lost a case. If you are in a captive or conservation easement and want to be made whole contact Wallachinc@gmail.com or call 516-236-8440. Google Lance Wallach and your advisor. Who do you trust.

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    The IRS has been cracking down on conservation easement transactions for over ten years. Nevertheless, taxpayers have continued to claim charitable contribution deductions attributable to the donation of conservation easements and promoters have continued to assemble investments utilizing conservation easement charitable deductions. The IRS began focusing on syndicated conservation easement transactions when it issued Notice 2017-10, designating syndicated conservation easement transactions as listed transactions. These syndicated investments involve the use of partnerships to raise funds from investors, who are allocated a share of a charitable contribution deduction attributable to conservation easements donated on land owned by the partnership. In fall of 2018, the IRS doubled down on its attacks of these investments when syndicated conservation easements were added to the list of LB&I compliance campaigns. While the IRS continues to crack down on these arrangements, taxpayers have continued litigating the finer points of these transactions. On the flipside, DOJ has begun cracking down on promoters who market these transactions. Below are details on the most recent developments. Lawsuits against Promoters The government had has enlisted another tactic for shutting down conservation easements by bringing actions against the organizers of conservation easement syndication schemes. On December 28, 2018, the Department of Justice filed a compliant in the Northern District of Georgia asserting that a group of defendants assembled partnership which were “nothing more than a thinly veiled sale of grossly overvalued federal tax deductions under the guise of investing in a partnership.” The complaint asserts that the defendants’ conservation easement syndicates have generated $2 billion in conservation easement charitable contribution deductions. The complaint seeks to enjoin the defendants from continuing to promote such schemes, and asks the court to order the defendants to disgorge all profits received as a result of the conservation easement syndicates. The defendants include a conservation manager/broker dealer, an appraiser, and various professionals associated with EcoVest Capital, Inc., an entity that sponsors real estate investments focused on conservation. The promotional materials mentioned in the compliant set forth an example where in exchange for a $750,000 investment, an investor would receive $2 million of deductions, generating tax savings of $1 million. The syndicates were sold as securities exempt from registration through broker-dealers. The easement syndicates involved properties located in Alabama, Georgia, Indiana, Kentucky, North Carolina, South Caroline, Tennessee, and Texas. Any taxpayer who may have invested in a syndicated conservation easement through EcoVest or any other investment advisor should carefully review Notice 2017-10 and related the disclosure requirements for listed transactions. Those taxpayers should also consult with a tax attorney to consider strategies for mitigating any damages. Contact details Lance Wallach Phone number : 516-236-8440 Email : wallachinc@gmail.com Address : USA

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    With the increased reporting requirements, IRS audits of conservation easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. With the increased reporting requirements, IRS audits of easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. Lance Wallach gets hundreds of phone calls to help people remove easement problems, fight IRS and get their money back from the promoters that sold them the easement. 516-236-8440 wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    With the increased reporting requirements, IRS audits of conservation easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. With the increased reporting requirements, IRS audits of easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. Lance Wallach gets hundreds of phone calls to help people remove easement problems, fight IRS and get their money back from the promoters that sold them the easement. 516-236-8440 | Wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    With the increased reporting requirements, IRS audits of conservation easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. With the increased reporting requirements, IRS audits of easement transactions have greatly increased. Instead of working collaboratively with taxpayers to seek a reasonable resolution, Revenue Agents are being directed to disallow deductions no matter what. With a high percentage of cases headed to litigation, taxpayers need to take every step to protect themselves now. Lance Wallach gets hundreds of phone calls to help people remove easement problems, fight IRS and get their money back from the promoters that sold them the easement. 516-236-8440 wallachinc@gmail.com

  • @lancewallach2845
    @lancewallach2845 3 роки тому

    The IRS is increasing it enforcement actions for syndicated conservation easement transactions. This includes more coordinated examinations across IRS divisions, as well as more criminal investigations. The IRS believes that these audits and investigations may cover billions of dollars of potentially inflated charitable contribution deductions for qualified conservation easements made through partnerships and limited liability companies (LLCs). |Google Lance Wallach and your advisor. Who do YOU trust? Lance Wallach 516-236-8440 Wallachinc@gmail.com

  • @lancewallach3201
    @lancewallach3201 3 роки тому

    The IRS is increasing it enforcement actions for syndicated conservation easement transactions. This includes more coordinated examinations across IRS divisions, as well as more criminal investigations. The IRS believes that these audits and investigations may cover billions of dollars of potentially inflated charitable contribution deductions for qualified conservation easements made through partnerships and limited liability companies (LLCs). Google Lance Wallach and your advisor. Who do YOU trust? Lance Wallach 516-236-8440 Wallachinc@gmail.com

  • @jcy3545
    @jcy3545 3 роки тому

    Abusive syndicated conservation easement transactions have been of concern to the IRS for several years. “Taxpayers should ignore this nonsense, take an objective look at their cases, and cut their losses,” said IRS chief counsel Mike Desmond in a statement. In typical listed syndicated conservation easement structures, promoters syndicate ownership interests in real property through partnerships, using promotional materials to suggest that prospective investors may be entitled to a share of a conservation easement contribution deduction that equals or exceeds two and one-half times the investment amount. The promoters obtain an appraisal that greatly inflates the value of the conservation easement based on a fictional and unrealistic highest and best use of the property before it was encumbered with the easement. After the investors put money into it, the partnership donates a conservation easement to a land trust. Investors in the partnership then claim a deduction based on an inflated value. The investors typically claim charitable contribution deductions that grossly multiply their actual investment in the transaction and defy common sense. In fact, professional liability experts see conservation easements as spiking the next wave of malpractice claims against accountants and tax preparers. The IRS is disallowing the tax deduction and fineing the taxpayer. Google Lance Wallach and whoever is giving you advice. Who do you believe?

  • @Tonia.lynn2411
    @Tonia.lynn2411 3 роки тому

    Hello from lapine Oregon! nice to see local farmers ❤️I’m more small homesteader size. And hoorah! To us young farmers ☺️

  • @turftoe332
    @turftoe332 4 роки тому

    Learned something today #BeelieveIt🐝

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    @b1gdave514 4 роки тому

    Do you have a website to purchase or research seed?

  • @seleldjdfmn221
    @seleldjdfmn221 4 роки тому

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  • @lh7801
    @lh7801 4 роки тому

    Not much of a tour but still a cool vid

  • @gordontaylor6822
    @gordontaylor6822 4 роки тому

    You my friend are a blessed person and I Admire you and your Family God Bless us All.