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SERVICES OFFERED BY ALVIN S. BROWN, ESQ.
Aggressive, Creative, And Comprehensive IRS Audit Representation To
Prevent IRS Abuse, Error, Bluff And Intimidation.
Identification Of Argument Favorable To Taxpayer And Development Of Factual And Legal
Issues To Reduce Tax Liability.
Comprehensive Tax Law Research, Technical And Interpretative Analysis.
Drafting Of Technical Memoranda, Rationale, And Supporting
Authority, Including Protests For Appeals.
Audit
Strategy And Defense.
Procedural Remedies Including Appeals And Conferences
Negotiations At All Levels.
Closing
Agreements Under Section 7121 Of The Code To Protect Taxpayers From Inconsistent Treatment
Or Bind the IRS To A Negotiated Settlement.
Tax
Penalty And Interest Defense, Reduction, Abatement Or Elimination.
Collection, Levy, Seizure and Lien Protection and Defense.
Problem Resolution Office and Taxpayer Advocate Utilization.
Review Of
The Mode Or Time For The Collection Of Any Tax, Notice And Demand For Taxes, Collection
Liability, Release Of Lien, Discharge Or Seizure Of Property, Levy And Distraint,
Surrender Of Property Subject To Levy, And Redemption Of Property.
Fraud
Defenses.
Offers-In-Compromise To Reduce Final Tax Determinations And Penalties Where Doubt Exists
As To Whether The Taxpayer Owes The Liability Or When There Is Doubt That The Liability
Can Be Collected In Full.
Requests For Technical Advice and Determination Letters To
Clarify The Interpretation And Proper Application Of The Tax Law, Treaties, Regulations,
Revenue Rulings Or Other Published Precedents.
Requests
For Private Letter Rulings From The IRS Associate Chief Counsel For Pre-Transaction Tax
Determinations To Interpret And Apply The Tax Laws To A Specific Set Of Facts.
Planning For A Tax-Free Merger, Spin-Off Or Other Corporate
Reorganization.
Requests
For Accounting Method And Period Changes From IRS National Office.
Requests For Section 7805(b) Relief That The IRS Limit The
Retroactive Effect Of The Revocation Or Modification Of a Letter Ruling Or Determination
Letter.
Requests
For Section 9100 Relief To Extend The Time For Making An Election Or Other Application For
Relief Under Section 301.9100-1 Of The Income Tax Regulations.
Negotiated Settlements.
Preparation Of Installment Agreements For Tax Payments.
Informal
Consultation Or Advice.
Formation
of Tax Exempt Charitable Organizations (e.g., Section 501©(3) Of The Internal Revenue
Code).
Initiation Of Civil Damages Actions Against The IRS For Unauthorized Collection Actions,
Failure to Release Lien and Unauthorized Disclosure of Return Information.
Comprehensive Lobbying Services
Court Appeals & Brief Preparation - U.S. Tax Court, The US.
Court Of Federal Claims, Or The U.S. District Court.
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Alvin Brown and Associates, Attorney at Law
Phone: (888) 712-7690
Fax: (703) 425-1567
E-Mail: info@irstaxattorney.com
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