Low-cost representation of taxpayers with controversies before the Federal tax courts
L.B. Carpenter, Chief Tax Counsel
Members of the Bar U.S. Tax Court & District Courts
L.B. Carpenter, Chief Tax Counsel
Low-cost representation of taxpayers with controversies before the Federal tax courts
L.B. Carpenter, Chief Tax Counsel
L.B. Carpenter, Chief Tax Counsel
Contact us for a no-fee phone consultation. Meet the team... let us help you figure out what your best next steps are. The sooner you have a plan of action, the better your chances of taking the correct steps to get the results you want from the IRS and United States Tax Court and district courts, and possibly avoid litigation all together. Continue reading to learn about the procedural steps we must take to remedy your tax liabilities
Below is the 3-step procedural process in U.S. Tax Court. Refund actions in the disteict court is also equally a straight-forward process, which we will gladly discuss during our first consulation.
United States Tax Court
The United States Tax Court has its headquarters at Washington DC in the United States. It is a specialty court that exclusively hears tax law cases. The U.S. Tax Court hears tax deficiency cases - cases in which the IRS asserts that the taxpayer has underpaid his or her tax liability. Prepayment of the proposed tax deficiency is not a prerequisite to litigating in Tax Court. Counsel must know the IRC, and rules of practice and procedure, disclosure rules, and the FRE as applied by the Court.
At U.S. Tax Court Litigators.Org Law Firm, we understand that legal issues can be overwhelming and stressful. That's why we are here to provide you with the support and guidance you need to navigate the legal system. Our team of experienced attorneys is dedicated to helping you achieve the best possible outcome for your case. Whether you need assistance with a personal injury claim, a business dispute, or a real estate matter, we are here to help. We pride ourselves on providing personalized attention to each of our clients, and we will work tirelessly to protect your rights and interests.
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If you do receive a notice of deficiency from the IRS for back taxes, it would be prudent to let us petition the U.S. Tax Court on your behalf and then wait for the case to be sent back to the IRS independent office of appeals, where we can possibly settle for less money and avoid any litigation and the need for you to travel to present.