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Los Angeles Tax Lawyer

Jeffer Mangels Butler & Mitchell LLP has one of the leading tax practices in California, within a full service law firm. With decades of combined experience, and an A+ rating from the BBB (go check out the reviews for yourself - our BBB profile ), our team can help you navigate the complex rules and regulations of the federal tax code, and get relief from your on-going issues.
According to the IRS, any person who willfully attempts in any manner to evade or defeat any tax imposed by Title 26 or the payment thereof shall, in addition to other penalties provided by the law be guilty of a felony…” As a serious felony offense, tax evasion and fraud are punishable by a $100,000 fine.



In the thick of South by Southwest, Alex Jones is scheduled to be deposed for four hours next Thursday at a downtown law office by attorneys for a Sandy Hook parent suing him for intentional infliction of emotional distress for years of characterizing the 2012 Connecticut school shooting as a hoax.
Where a settlement cannot be reached, our litigation attorneys are fully prepared to litigate your case in Law Offices of David Lee Rice, APLC, handles every aspect of the real property tax field, including: compliance, tax estimates, pre- due diligence analysis, complete tax bill review, special and direct assessments, escape assessments, secured and unsecured property tax bills, change in ownership issues, transfers of base value issues and, of course, property tax appeal representation before the various assessment appeals boards.

Our skill in representing clients before federal, state and local tax agencies has earned Barry L. Guterman various peer recognitions, including selection for inclusion in the Super Lawyers list and Martindale-Hubbell's AV Preeminent rating in the area of taxation.
Born in Los Angeles, California, January 24, 1960; Admitted to Bar, California - 1984; Admitted to United States Tax Court - 1989 and United States Tax Attorney Los Angeles District Court, Central District - 1992; Passed CPA exam and obtained CPA certificate from the State of Maryland in 1980, current status- inactive.
Taxpayers must also report various transactions involving foreign trusts, including creation of a foreign trust by a United States person, transfers of property from a United States person to a foreign trust and receipt of distributions from foreign trusts under IRC § 6048.

The IRS took the position that the payment was not properly designated toward the trust fund, and that it was therefore entitled to, and did, apply the payment towards non-trust fund taxes owed by the company, which of course doesn't reduce the trust fund recovery penalty.
With a Bachelor of Accountancy and significant experience preparing tax returns for businesses and individuals, Mr. Nardiello has developed the skills necessary to read, understand, and extract information from tax returns in furtherance of his role as a client representative.

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