Never is meticulous tax counsel needed more than when taxing authorities decide to conduct an audit. Fuerst Ittleman is experienced with assisting clients undergoing tax audits, including sensitive audits (“eggshell audits”), as well as other audit disputes with US State and Federal taxing authorities.
Tax Audits can result in litigation and collection actions by the Internal Revenue Service. Fuerst Ittleman represent clients with administrative audits involving:
- IRS income tax audits and examinations
- IRS estate and gift tax audits and examinations
- IRS international tax audits
- IRS and Customs transfer pricing examinations and agreements
- Non-filer and delinquent filer actions to correct status
- Tax amnesty requests for tax re-entrants
- Offers in compromises on doubt as to liability
- Offers in compromises as to doubt as to collectibility
- Federal and state independent contractor tax examinations and determinations
- Requests for relief under section 530 of the Revenue Act of 1978
- Department of Labor independent contractor examinations
- Internal Revenue Service collection due process appeals
- Unemployment authority administrative litigation of employment status
- Innocent spouse appeals
- Foreign account investigations
- Foreign account tax reporting
- Jeweler money handling investigations
- Money service business tax audits
- Changes regarding accounting methods and periods
- Department of Revenue collections
- Department of Revenue sales and use tax audits
For more information, please contact Mitchell S. Fuerst, Esq. at mfuerst@fuerstlaw.com.

