* Tax Relief for IRS Tax Debt, Back Taxes, and Un-filed Tax Returns
* Tax Attorney Help for Civil and Criminal Fraud Audit Examinations
* Tax Lien Removal, Subordination, Withdrawal, and Discharge
* IRS Tax Levies, Wage and Bank Garnishments Removal
* Penalty and Interest Abatement, Innocent Spouse Relief
* Tax Attorney Representation - IRS Appeals and Litigation
* Payroll Tax Help and Trust Fund Recovery Penalty Relief
* Effective IRS Offer in Compromise Settlements
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Installment Agreements and Payment Plan Negotiations
The IRS will take advantage of a taxpayer who is not knowledgeable about the tax law or IRS audit and collection procedures. Taxpayers need to be protected from IRS error, abuse, and intimidation. Taxpayers frequently overpay their tax liability either as a consequence of inappropriate IRS actions, or because they do not have the counsel of a skilled and experienced tax lawyer.
National IRS tax attorney practice specializes in IRS problems and controversies, including: “offers in compromise”, IRS tax liens, IRS collection actions including levies, wage garnishments, IRS civil and criminal investigations, installment agreements, penalty abatements, IRS appeals, consultations services, fraudulent transfers, litigation services and other IRS pro-active services.
Using Offer in Compromise services as an example, we have the advantage of having “offer in compromise” cases throughout the U.S. In negotiating offer in compromise settlements, we have a national perspective to prevent IRS error and misapplication of the tax law. We have unique insight into unpublished IRS administrative practices and policies in offer in compromise cases. For these reasons, we are able to settle offer in compromise cases at the lowest amount that the IRS will accept for an “acceptable Offer” (i.e., final settlement). In addition, our insight into IRS administrative practices in Offer in Compromise cases minimizes the opportunities the IRS has to return an Offer case without resolution. We prepare Offer in Compromise Form 656 and financial statement Form 433A and Form 433B so that the presentation to the IRS is professional. A tax attorney prepares a legal memorandum in all Offer in Compromise filings, in order to make sure that the IRS is following the IRS statute on §7122 (the OIC statute), the Offer regulations, the legislative history, the tax policy in Offer cases, the Offer case law, and the Revenue Procedure in Offer in Compromise cases. The task of our tax lawyers in Offer in Compromise cases is to force the IRS to follow the all of the legal and administrative procedures as well as the Congressional mandate to the IRS to be “liberal” in OIC cases.
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