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Salt Lake City Attorney for the Appeal of an IRS Audit

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    Navigating the complex web of federal tax laws in Salt Lake City requires the understanding of an experienced strategic ally, especially with the IRS rigorously examining your personal or business federal tax filings. In this vibrant economic hub, the need for a legal partner proficient in the local business environment and a profound understanding of the federal tax system is essential. Whether dealing with the fallout from unfiled taxes, preparing for an impending IRS tax audit, or untangling the complexities of federal tax regulations, the value of an experienced ally in Salt Lake City, Utah, is irrefutable.

    If you are dissatisfied with the IRS tax audit’s conclusion and subsequent recommendations, you should know you have the right to an appeal and can have our experienced dual-licensed Salt Lake City Tax Attorneys and CPAs represent you. IRS Appeals are generally available based on disagreements on the facts or the law in your audit. At the Tax Law Offices of David W. Klasing, we will assist you in identifying the tax statutes and precedents that best support your specific legal disagreements. Suppose you adamantly disagree with the results of an IRS tax audit and seek to challenge associated tax, penalties, and interest assessment. In that case, our meticulous approach ensures you’re thoroughly prepared for every step of the appeals process. From mitigating trust fund recovery penalties to contesting improperly disallowed business expenses, we will fervently advocate for you, keeping you informed throughout the process.

    Do Not Represent Yourself Before the IRS Appeals Division in Salt Lake City

    Representing yourself before the IRS Appellate Division is a bad idea. Doing so is akin to representing yourself in front of a court of law, where you would be at a distinct disadvantage due to a lack of training in Tax Law and practical experience in IRS procedure. Having experienced representation on your side is imperative to protect your rights. Over 80% of disputes between taxpayers and the IRS that could lead to litigation are settled during appeals. Therefore, it is crucial to engage a tax professional who understands the ins and outs of the Appeals Office. The IRS handles over 100,000 appeals yearly; involvement in only one leaves you at a distinct disadvantage if unrepresented. An assertive, seasoned, and knowledgeable Tax Attorney/CPA can make an enormous difference in your settlement offer after the appeals process.

    How We Simplify the IRS Appeals Process and Maximize Your Success in Salt Lake City

    Unfortunately, the appeals process can become very complex and, in some cases, may even necessitate litigation in Tax Court. Working with an experienced attorney-CPA can help maximize your chances of making a successful appeal while resolving your tax liabilities as efficiently and cost-effectively as possible. Your representative can assist you in preparing the strongest protest letter possible and may be able to negotiate a favorable compromise on your behalf. If a resolution isn’t reached, you may petition the U.S. Tax Court within 90 days of receiving a Notice of Deficiency. Two essential appeal procedures are the Collection Appeals Program (CAP), which is rapid but final, and the Collection Due Process (CDP), which allows for tax court recourse if necessary.

    At the Tax Law Offices of David W. Klasing, we help business and individual clients appeal Internal Revenue audits and other IRS actions, providing strategic insight to make informed decisions regarding your tax appeal. We handle all types of tax appeals and litigation, including income taxes, payroll taxes, corporate taxes, estate and gift taxes, excise taxes, property taxes, small case requests, installment agreements, levies, liens, and offers in compromise. Whether you’re dealing with an IRS tax audit, challenging a tax assessment, or seeking relief from IRS collection actions, our meticulous approach ensures you’re well-prepared for every step of the appeals process. From handling trust fund recovery penalties to disallowed business expenses, we will ardently fight for you, keeping you informed throughout the process. Your fair treatment by the federal tax authorities always precedes our understandable financial interests in earning a living.

    What Should I Know About Requesting an Appeal in Salt Lake City?

    If you disagree with your auditor’s findings, you do not have to accept the examination results and may request to appeal instead. However, there are two critical points: appeals are available based on financial disagreement only, and you will not be permitted to pursue disputes based on moral, religious, political, constitutional, conscientious, or similar grounds. You must request an appeals conference by filing a formal written protest. This is the next step after you receive Letter 525, which contains information and lists IRS publications on how to file an appeal/protest. You need to file your protest within 30 days from the date of this letter to appeal the proposed adjustments with the Office of Appeals.

    What Should My Formal Written Protest Include for a Salt Lake City Appeal?

    In addition to other articles of information, this formal written protest must include the proposals you disagree with, why you disagree with those proposals, the facts that support your reasoning, and the relevant laws that support your reasoning. Our experienced Salt Lake City IRS appeals attorney and CPA will help you identify which statutes and precedents best substantiate your specific disagreements. If the amount you wish to appeal totals $25,000 or less, you may file a Small Case Request by submitting Form 12203 rather than requesting a conference. However, employee plans, exempt organizations, partnerships, and S-corporations cannot file a Small Case Request. Once your examiner receives your request, your case will be referred. Many cases are resolved at this stage, with the IRS reporting that every year, the Office of Appeals helps over 100,000 taxpayers resolve their disputes without going to Tax Court.

    What Happens If I Cannot Reach a Resolution With the IRS?

    If you cannot reach a mutually acceptable resolution through a conference with your examiner’s supervisor, there are additional steps to the process. If a closing conference fails to yield an agreement, you may petition the U.S. Tax Court, provided you do so within 90 days of being issued a 90-day letter, or Notice of Deficiency (Letter 531). It should be noted that there is a processing fee associated with filing the petition. Our skilled dual-licensed Salt Lake City IRS Appeals Attorneys & CPAs will ensure that you are well-prepared, your arguments are compelling, and your chances of a favorable outcome are maximized.

    How Can You Request a Hearing After Receiving Notice of an IRS Collection Action in Salt Lake City?

    If you receive one of the following notices, then Collection Due Process (CDP) is available to you:

    Collection Due Process is a procedure that delineates your rights. Under Collection Due Process, you have 30 days to request a hearing to preserve your right to appear in court. You or your attorney will complete IRS Form 12153 – Request for a Collection Due Process or Equivalent Hearing. This form provides information about the dispute to the IRS Office of Appeals, including taxpayer names, the basis for the hearing request, your proposed collection alternative, and other reasons for your disagreement with the IRS collection action.

    What to Do If You Receive an IRS Tax Levy Notice in Salt Lake City?

    If you have received an IRS tax levy notice, it would be wise to contact our experienced dual-licensed Salt Lake City IRS Appeals Attorneys & CPAs at the Tax Law Offices of David W. Klasing. We understand the levy process and solutions to prevent the seizure of your property, bank account or garnishment of your wages. Read your notice, highlight or write down the notice code in the top right corner, usually beginning with CP, though you may also receive Letter 3172 – Notice of Federal Tax Lien Filing and Your Right to a Hearing Under IRC 6320 or similar letters such as L-1058 or LT11, and call our experienced dual-licensed Salt Lake City Tax Attorneys & CPAs immediately at (385) 501-5934or complete our online contact form today.

    Contact Our Salt Lake City Office Today for Experienced IRS Appeals Representation

    Remember that the IRS uses many sources of information to lead them to begin the investigation into a potential tax fraud case. Leading our team is David W. Klasing, a former auditor with a wealth of experience in public accounting. Leveraging his tax law and accounting expertise, we provide strategic insights to aid in informed decision-making regarding your tax appeal. Whether you need to contest the IRS’s entire decision or specific aspects unique to Las Vegas’s diverse economic environment, we will guide you toward an economically favorable resolution. From managing cases of criminal tax exposure and guiding you through various types of federal tax audits to defending against criminal tax investigations, our seasoned team of dual-licensed Salt Lake City IRS Appeals Attorneys and CPAs is invaluable. Our commitment to providing personalized and effective representation sets us apart.

    David’s proven proficiency is now available in Salt Lake City at our appointment-only satellite office, providing both legal and tax services in one place—at a single hourly billing rate. We have just introduced a flexible scheduling option where clients can reserve a four-hour slot at any of our satellite locations. David W. Klasing will travel to any of our satellite offices to meet with you personally. This option must be preceded by a one-hour phone or go-to-meeting consultation to warrant incurring the travel expenses and opportunity costs of traveling. We have designed this service to benefit our clients, with no additional travel expenses added to your bill. Call us at (385) 501-5934 or complete our online contact form today.

    Our Salt Lake City Office is Conveniently Located at:

    222 S Main St,

    Salt Lake City, UT 84101

    (385) 501-5934

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    Representing Clients from U.S. and International Locations Regarding Federal and California Tax Issues

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    Main Office

    Orange County
    2601 Main St. Penthouse Suite
    Irvine, CA 92614
    (949) 681-3502

    Our headquarters is located in Irvine, CA. Our beautiful 19,700 office space is staffed full-time and always available for our clients to meet with our highly qualified and experienced staff of Attorneys, Certified Public Accountants and Enrolled Agents. We also offer virtual consultations and can travel to meet with clients in one of our satellite offices.

    Outside of our 4 hour initial consultation option, we do not charge travel time or travel expenses when traveling to one of our Satellite offices, or surrounding business districts, where it is necessary to meet personally with taxing authority personnel, make court appearances, or any in person meeting deemed necessary for the effective representation of a client. To make this as flexible, efficient, and convenient as possible, David W. Klasing is an Instrument Rated Private Pilot and Utilizes the Firms Cirrus SR22 to service client’s in California and in the Southwest by air. Offices outside these areas are serviced via commercial jet airlines. None of these costs are charged to our clients.

    Satellite Offices

    California
    (310) 492-5583
    (760) 338-7035
    (916) 290-6625
    (415) 287-6568
    (909) 991-7557
    (619) 780-2538
    (661) 432-1480
    (818) 935-6098
    (805) 200-4053
    (510) 764-1020
    (408) 643-0573
    (760) 338-7035
    Arizona
    (602) 975-0296
    New Mexico
    (505) 206-5308
    New York
    (332) 224-8515
    Texas
    (512) 828-6646
    Washington, DC
    (202) 918-9329
    Nevada
    (702) 997-6465
    Florida
    (786) 999-8406
    Utah
    (385) 501-5934