Corporate clientele facing judicial or administrative audits by federal, state, or local government revenue entities should consult with a tax audit lawyer who understands the imperative nature of accurately detailing, presenting, and defending their corporate tax positions. For over thirty years, tax audit lawyer Mitchell S. Fuerst, Esq., has assessed, sculpted, and presented his corporate clientele’s tax positions to a myriad of fiduciary reporting entities ranging from administrative audits by state departments of revenue or the Internal Revenue Service, all the way to grand jury investigations at the hands of the federal court system.
When addressing an audit, corporate clientele will work in union with Mitchell S. Fuerst, Esq., in unraveling their audit concerns, as well as implementing a future tax planning strategy to cope with and prevent similar events from occurring.
Mitchell S. Fuerst, Esq., can confidently represent clients as a tax audit lawyer in legal issues including:
Given the global nature of modern corporate business, Mitchell S. Fuerst, Esq., proves highly adept in also navigating the complexities of international business. International taxation concerns may delve into arising issues such as international banking discrepancies, foreign taxation and revenue entities, and litigation concerning pricing transfers stemming from international trade. If taxation authorities should approach the clientele of Fuerst Ittleman with an administrative tax audit investigation, tax audit lawyer, Mitchell S. Fuerst, Esq., understands the pressing nature of an audit, and in doing so, will work with corporate clientele in ascertaining their position swiftly, while augmenting any existing, inefficient corporate tax audit strategies.
Mitchell S. Fuerst, Esq., boasts a distinguished history and experience regarding matters concerning the IRS. Corporate clientele frequently solicit the counsel of tax audit lawyer , Mitchell S. Fuerst, Esq., in order to assess, and rectify tax issues revolving around IRS audits for tax liens, offers in compromise, tax appeals, IRS collections actions, IRS criminal investigations, IRS tax levies, as well as any local, state, or federal level taxation disputes.
Mitchell S. Fuerst, Esq., is a highly experienced tax audit lawyer.
Contact tax audit lawyer Mitchell S. Fuerst, Esq.
Contact tax audit lawyer Mitchell S. Fuerst, Esq.
When addressing an audit, corporate clientele will work in union with Mitchell S. Fuerst, Esq., in unraveling their audit concerns, as well as implementing a future tax planning strategy to cope with and prevent similar events from occurring.
Mitchell S. Fuerst, Esq., can confidently represent clients as a tax audit lawyer in legal issues including:
- Gift tax audit
- Eggshell audit
- Estate tax audit
- Income tax audit
- Sales and use tax audit
- International tax audit
- Financial services audit
- Customs transfer pricing
- Foreign accounts tax audit
- Securities transaction audit
- Offers in compromise audit
- Independent contractor tax audit
Given the global nature of modern corporate business, Mitchell S. Fuerst, Esq., proves highly adept in also navigating the complexities of international business. International taxation concerns may delve into arising issues such as international banking discrepancies, foreign taxation and revenue entities, and litigation concerning pricing transfers stemming from international trade. If taxation authorities should approach the clientele of Fuerst Ittleman with an administrative tax audit investigation, tax audit lawyer, Mitchell S. Fuerst, Esq., understands the pressing nature of an audit, and in doing so, will work with corporate clientele in ascertaining their position swiftly, while augmenting any existing, inefficient corporate tax audit strategies.
Mitchell S. Fuerst, Esq., boasts a distinguished history and experience regarding matters concerning the IRS. Corporate clientele frequently solicit the counsel of tax audit lawyer , Mitchell S. Fuerst, Esq., in order to assess, and rectify tax issues revolving around IRS audits for tax liens, offers in compromise, tax appeals, IRS collections actions, IRS criminal investigations, IRS tax levies, as well as any local, state, or federal level taxation disputes.
Mitchell S. Fuerst, Esq., is a highly experienced tax audit lawyer.
Contact tax audit lawyer Mitchell S. Fuerst, Esq.
Contact tax audit lawyer Mitchell S. Fuerst, Esq.

