Judicial proceedings often follow Federal and state tax examinations or enforced collection action by the IRS or the state departments of revenue.
Post-examination judicial proceedings mandate legal counsel. It is imperative that a business have aggressive and reliable tax counsel in any judicial proceeding involving Federal or state taxes.
Fuerst Humphrey Ittleman advocate for clients facing judicial proceedings involving:
- United States Tax Court
- United States District Courts
- United States Court of Claims
- United States Bankruptcy Courts
- United States Courts of Appeal
- United States Supreme Court
- Court of International Trade.
The types of proceedings typically handled by Fuerst Humphrey Ittleman are:
- Income, estate and gift tax deficiency cases
- Innocent spouse relief cases
- Appeals from levy and lien actions of the IRS
- Freedom of Information Act litigation
- International bank account cases
- Federal and state district court, court of claims, or bankruptcy court tax issues
- Employee versus independent contractor determination litigation
- Requests for assistance by foreign taxing authorities
- Transfer pricing litigation involving tax and Customs issues.

