This office does not handle:

  • Unemployment Insurance Benefits (UI)
  • State Disability Issues (SDI)
  • Worker Compensation Issues
  • EDD Overpayments

Over 50 Years In Practice
Over 500 Articles

Los Angeles Tax Court Lawyer

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Tax Litigation Attorney Robert S. Schriebman

Many disputes with the IRS do not end up in tax court litigation. It takes an experienced and dedicated tax lawyer to understand the complexities and procedures involved in tax disputes. Dealing with the IRS and understanding when it is in your best interests to go to tax court can be a struggle.

At Robert S. Schriebman, A Professional Law Corporation, we have the skill and experience to handle any tax dispute. We help clients in tax court cases, including:

The advantage of going to tax court is that you are not required to pay the taxes first and pursue relief afterward. Generally, you must pay the IRS in full before you can contest the tax debt you owe. If you owe back taxes and have not been able to work out a solution with the IRS, tax court may be the only option unless you can afford to pay the full amount.

From our offices in Los Angeles, tax court attorney Robert S. Schriebman has defended clients throughout California and nationwide. From Alaska to Orange County, IRS dispute attorney Schriebman has built an impressive record in tax litigation. We can help you comply with the strict guidelines of tax court, prepare for your administrative hearing and take your case all the way to final resolution.

Comprehensive Tax Court Representation

Going to tax court is highly stressful for most people. Attorney Robert S. Schriebman has helped countless clients, as well as other tax lawyers, make taxation fair. He has written 20 books for fellow tax attorneys on subjects ranging from how to interact with the IRS to what steps need to be taken when the tax debt cannot be paid. We can put that knowledge to work for you in any tax court litigation.

For high-quality tax court representation, contact Robert S. Schriebman, A Professional Law Corporation. Call 877-824-1563 or contact us online to schedule an appointment.

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ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – GOING TO THE TAX COURT – FILING WITH FED EX GROUND WON’T WORK

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – THE UNKNOWN 14-DAY EXTENSION RULE FOR FILINGS IN THE TAX COURT

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – ESTABLISHING ENTITLEMENT TO CLAIM A BUSINESS BAD DEBT DEDUCTION – THE PATEL CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – CDP HEARING SUCCESS MEANS DOING YOUR PART

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – EDD AND FTB WORLD VIEWS CAN DIFFER ON COMPENSATION – THE KRITON CORPORATION CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – GETTING BOUNCED OUT OF THE TAX COURT BY 11 SECONDS – THE SANDERS CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – REVERSING A SERIOUSLY DELINQUENT TAX DEBT CERTIFICATION WHEN THE OUTSTANDING TAX BALANCE SHRINKS

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – MUST A SINGLE MEMBER LLC TREAT WORKERS AS EMPLOYEES? – PART 3

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – MUST A SINGLE MEMBER LLC TREAT WORKERS AS EMPLOYEES? – PART 2

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – MUST A SINGLE MEMBER LLC TREAT WORKERS AS EMPLOYEES? – PART 1

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – LOSING A BIG CHARITABLE CONTRIBUTION DEDUCTION – ONE SMALL SLIP FOR MANKIND – THE KRAUSS CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – WHEN FILING ELECTRONICALLY, PAY ATTENTION TO TIME ZONES – A NUTTY CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – HOW A LITTLE-KNOWN FTB LAW CAN SAVE YOU BIG BUCKS – THE BACHOR CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – WILL DEPRESSION CONSTITUTE REASONABLE CAUSE FOR ABATING LATE PENALTIES? – THE WILLIAMS/MATIZ CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – MY ACCOUNTANT TOLD ME MY RETURN WAS FILED; IT WASN’T – IS THIS REASONABLE CAUSE TO ABATE A LATE FILING PENALTY? THE FISHER CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – WHEN DOES RELIANCE ON YOUR ACCOUNTANT CONSTITUTE REASONABLE CAUSE FOR THE ABATEMENT OF PENALTIES?

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – MARIJUANA DISPENSARY DENIED MOST DEDUCTIONS-IT’S ALL CONSITUTIONAL

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – FIGHTING BACK WHEN THE IRS LABELS YOU “SERIOUSLY DELIQUENT TAXPAYER”

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – WHEN THE IRS LABELS YOU AS “A SERIOUSLY DELIQUENT TAXPAYER”

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – WHEN IT COMES TO PROTECTING YOUR RIGHTS WITH THE EDD, TIMING IS EVERTHING

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – IRS PENALTIES NEED SUPERVISORY APPROVAL – OR – FORGET ABOUT IT!

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – FAILURE TO ISSUE A NOTICE OF DEFICIENCY MEANS THE IRS CAN’T COLLECT – THE JOLLY CASE

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – US TAX COURT SHOOTS DOWN ANOTHER CALIFORNIA MARIJUANA BUSINESS

ASK THE CALIFORNIA EMPLOYMENT TAX AND PAYROLL TAX ATTORNEY – TAX COURT DEALS A DEVASTATING BLOW TO THE MEDICAL MARIJUANA INDUSTRY