

TAX LAW SERVICES
1. Offers in Compromise (OIC): Negotiating directly with tax authorities to settle a tax liability for a lesser amount when full payment would create severe financial hardship.
2. Installment Agreements: Structuring manageable, long-term payment plans—including partial-payment agreements—to resolve tax debt over time while avoiding enforcement actions.
3. Penalty Abatement: Requesting the removal or reduction of penalties and accrued interest based on reasonable cause, administrative errors, or first-time compliance rules.
4. Wage Garnishment & Bank Levy Release: Requesting emergency administrative or legal relief to prevent or stop the seizure of bank accounts, wages, and receivables.
5. Tax Lien Relief: Submitting petitions to discharge, subordinate, or withdraw Federal and State tax liens filed against personal or commercial assets.
6. Currently Not Collectible (CNC) Status: Presenting financial proof to temporarily halt all IRS or state collection efforts when a taxpayer has no disposable income.
7. Innocent Spouse Relief: Defending joint tax filers against liability for unpaid taxes, errors, or fraud committed solely by a spouse or ex-spouse.
8. Administrative Appeals: Drafting formal protests and negotiating with the IRS Office of Appeals or state board of appeals after an audit outcome or collection action is disputed.
9. Tax Court Litigation: Filing petitions and litigating cases in federal court (such as the U.S. Tax Court, U.S. District Court, or U.S. Court of Federal Claims) or state tax tribunal.
10. Payroll & Employment Tax Defense: Defending business owners against Trust Fund Recovery Penalties (TFRP) that attempt to hold individuals personally liable for unpaid employee withholding taxes.
11. Criminal Tax Defense: Providing legal counsel during criminal investigations, grand jury proceedings, or court trials involving allegations of tax evasion, fraud, or false returns.
12. Voluntary Disclosure Applications: Assisting taxpayers with unfiled returns or unreported foreign/crypto assets to come forward voluntarily, mitigating criminal exposure and reducing penalties.
13. Foreign Account & FBAR Compliance: Assisting clients with foreign bank account disclosures (FBAR/FATCA), resolving cross-border tax compliance failures, and defending against international penalties.
14. Audit Reconsideration: Reopening a previously finalized audit when a client was unable to participate or has new documentation to prove the tax assessment was incorrect.
15. Employee Retention Credit (ERC) Claims & Audits: Assisting businesses with evaluating eligibility, filing complex or amended ERC claims, and defending against IRS audits, clawbacks, or promoter-driven ERC penalty assessments.
16. "Pig Butchering" Scam Theft Loss Deductions: Evaluating and claiming legal tax deduction options (for victims of cryptocurrency or investment fraud, and representing clients against IRS scrutiny of high-value loss deductions.
17. Tax Preparer Penalty & License Defense: Defending CPAs, Enrolled Agents, and tax preparers against civil promoter penalties, due diligence fines (under IRC §§ 6694 and 6695), Circular 230 disciplinary proceedings, and IRS injunction attempts to restrict tax preparation licenses.
Trust us to be your advocate in dealing with the IRS, allowing you to focus on what matters most to you. Contact us today to schedule a consultation, and let's take the first step towards resolving your IRS tax issues together.