Civil and criminal tax litigation can include tax problems in many jurisdictions including disputes with local, state, federal, and foreign tax agencies. Tax problems can refer to issues with tax audits, tax assessments, civil and criminal tax litigation, and appeals of tax verdicts. The tax professionals at Fuerst Ittleman have represented many types of clients with varying tax problems form large corporations with tax controversies to multinational companies with foreign and domestic facing tax litigation.
The professional tax attorneys at Fuerst Ittleman have successfully represented clients with a wide variety of tax problems including income tax, gift tax, and excise tax disputes. There are unique tax concerns to distinct tax situations such as the tax burden of multistate corporations and the varying tax responsibilities of the business arms in each state of operation. Another issue may arise if a corporation is recording massive gains in one sate and losses in another state. The tax professional at Fuerst Ittleman know how offset the difference even between jurisdictions. Yet other issues can deal with tax exemptions in everything from real property to recycling and how that affects cross-border taxes.
Fuerst Ittleman is experienced in Civil and Criminal Tax Litigation.
Contact the Civil and Criminal Tax Litigation team.
The Civil and Criminal Tax Litigation attorney at Fuerst Ittleman can help with any of the following tax issues:
• Foreign Trust Reporting Requirements
• Property Tax Assessments
• Tax Fraud and Tax Evasion
• Tax Deficiency Matters
• Money Laundering
• Currency Violations
• Forfeiture Matters
• Racketeering Charges (Rico)
• Bank and Securities Fraud
• Withholding of Tax on Dispositions Of U.S. Real Property Interests
• Foreign Tax Credit
• Foreign Earned Income Exclusion
• U.S. Tax Withholding on Payments to Foreign Persons
The Internal Revenue Service (IRS) can and does make mistakes. If the IRS makes an error in an audit or if the filer disagrees with conclusion or determination by the IRS, the filer has 90 days to file a complaint with the Tax Court to contest the findings. The filer can then put off paying those taxes while the case is under review. However if the filer does not meet the deadline of 90 days before filing the challenge, the filer will be responsible for paying all taxes and any penalties before the case can proceed to district court for review.
The highly trained and accomplished civil and criminal tax litigation professionals at Fuerst Ittleman know how to find and use these rules to the advantage of their clients. They know the best way to challenge the IRS regulations and rulings thereby saving their clients money in taxes and penalties. At Fuerst Ittleman, they can help negotiate with the IRS to lock in Offers in Compromise that can lead to tax savings and settlements. The civil and criminal tax litigation team at Fuerst Ittleman will aggressively represent their clients before the IRS in cases of audits or if their client is being investigated on criminal grounds.
Fuerst Ittleman is experienced in Civil and Criminal Tax Litigation.
Contact the Civil and Criminal Tax Litigation team.

