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Expert Real Estate Tax Attorney in Maryland: Your Solution to Property Tax Issues

What services does a real estate tax attorney in Maryland provide?

If you’re a property owner in Maryland struggling with real estate tax issues, a real estate tax attorney can provide valuable guidance and support. Our experienced attorneys specialize in helping clients navigate the complex world of real estate taxation, offering a range of services including:

1. Review of property tax assessments: Our attorneys can review your property tax assessments to ensure that they are accurate and fair, and challenge them if necessary.

2. Negotiation with tax authorities: If you are facing an audit or dispute with local tax authorities,

Back Taxes: How Virginia Taxpayers Can Settle Their IRS Debt

How much do I owe in back taxes?

If you owe back taxes to the IRS, you are not alone. Many taxpayers in Virginia find themselves in this situation, either through late or unpaid tax returns or by underestimating the amount of tax owed. However, the longer you wait to address your tax debt, the more penalties and interest will accrue, making it even more difficult to pay off. In this blog post, we’ll explore the options available to Virginia taxpayers for settling their back taxes with the IRS.

As a taxpayer in Virginia with tax debt,

Washington DC Foreign Government Employees Tax Lawyer: Protect Your Tax Rights

As a tax lawyer, I often receive inquiries from individuals who work for foreign governments and are unsure about their tax obligations in the United States. While this can be a complex area, it is important to understand the basics of the taxation of foreign government employees in order to properly comply with IRS regulations.

First and foremost, it is important to determine whether an individual qualifies as a foreign government employee. This includes individuals who work for a foreign government or international organization, as well as their family members. It is important to note that individuals who hold dual citizenship may not qualify as foreign government employees if they are also U.S.

Maryland Residents Facing an IRS Audit: Meet Your Trusted Appeal Lawyer

Important facts about our IRS audit appeal lawyer in Maryland

1. Kamyar Mehdiyoun is a highly skilled and experienced tax lawyer who has helped numerous clients successfully appeal their IRS audits.

2. He has extensive knowledge of tax law, including complex areas such as international tax and cryptocurrency tax.

3. Mr. Mehdiyoun is dedicated to providing personalized and attentive legal representation to each of his clients. He will take the time to thoroughly review your case and develop a tailored legal strategy to address your specific needs and concerns.

4. Located in Rockville,

Navigating a Tax Audit in Montgomery County, MD: How a Tax Audit Lawyer Can Help

What are the benefits of hiring a tax audit lawyer in Montgomery County, MD?

Every individual, corporation, or business owner in Montgomery County, MD, needs to pay their taxes and comply with the IRS regulations. However, tax laws and regulations can be complex, and sometimes, mistakes or omissions can trigger an IRS audit or investigation. In such cases, the services of a tax audit lawyer can be invaluable. Here are some benefits of hiring a tax audit lawyer in Montgomery County, MD:

1. Expertise in tax law: Tax audit lawyers have specialized knowledge and experience in tax law,

Virginia Exec. Responsible for Business Taxes

Personally Responsible for Business Taxes

Why a Virginia Corporate Officer May be Held Personally Responsible for Business Taxes?

Certain types of Virginia business taxes (for example sales and employment taxes but not corporate taxes) may be assessed against individual officers of a corporation or of a limited liability company organized in Virginia. Virginia courts use several factors in order to determine whether a particular business person should be held personally liable for business taxes. For example, if an individual was specifically designated as the tax matter partner within a business, prepared and signed tax returns and was aware of the tax delinquencies,

U.S. Reprimands the IRS – Tax Article

Tax Court Reprimands the IRS

U.S. tax court reprimands the IRS for denying the taxpayer’s due process rights in collection action.

Taxpayer was a personal injury lawyer whose income varied widely each year because it was dependent on uncertain contingency legal fees. He timely filed his 2009 and 2010 income tax returns but was not able to pay the entire tax debt and requested a payment plan. The IRS issued a Final Notice of Intent to Levy. Through his representative the taxpayer requested a collection due process hearing and on the day of the appointment went to the IRS’s office with his representative to meet with the settlement officer assigned to his case and explain his circumstances.

IRS Notice of Determination Tax Article

Sending of ‘Notice of Determination’

Sending of ‘Notice of Determination’ by the IRS to the Incorrect Address Entitles the Taxpayer to Claim That He Was Deprived of the Statutory Notice.

The IRS mailed its notice of determination to an incorrect address. On October 17, 2016, U.S. Tax Court held in favor of the taxpayer who claimed that he was deprived of the statutory notice. Section 6213(a) of the Internal Revenue code states a notice of deficiency should be duly mailed to the taxpayer’s last known address before a deficiency may be assessed. If the IRS hasn’t mailed a notice of deficiency,

IRS Back Tax Debt – Tax Article

IRS Back Tax Debt

Taxpayer’s Failure to Clearly State How Her Payments Should Be Applied to Her Back Tax Debt Left the IRS With Broad Discretion in Applying the Payments in Such a Way as to Maximize the Government’s Interest.

Under the threat of a tax levy, the taxpayer decided to liquidate her retirement account in order to pay her back taxes. However, instead of sending her check to her tax attorney, she decided to send her payment directly to the IRS revenue officer with an accompanying letter which read as follows:

Taxation of Out-of-State Income

Taxation of Out-of-State Income

U.S. Supreme Court Rules on Maryland’s Method of Taxation of Out-of-State Income.

In a significant ruling in the area of tax law, the United States Supreme Court has held that Maryland’s method of taxing its residents’ out-of-state income is not constitutional. (Comptroller of Treasury of Maryland v. Wynne, 575 U.S. Nov 10, 2015) Maryland bifurcates the income tax collected from its residents by dividing it into ‘state income tax’ and ‘county income tax’. Maryland residents who pay income tax to another jurisdiction related to income generated in that other state,