Mopsick Williams, LLP
Description
pulled from site's meta descriptionSacramento Tax Lawyers who aggressively represents clients on matters of complex & simple tax issues and estate planning before the Internal Revenue Service, State Boards of Equalization, Franchise Tax Board and the United States Tax Court, serving clientele in Californian and across the United States. Areas of expertise include but are not limited to: Fiduciary Disputes; Tax Controversy - including income tax, sales and use tax, IRS audits and appeals; and Issues involving off-shore tax matters and corporate tax shelters; Offshore Voluntary Disclosure Initiative 2011.
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- AboutUs AutoGen
- williams
- Sacramento Tax Lawyers
- Sacramento Tax Attoney
- represent internal revenue service tax audit sacramento
- represent Franchise Tax Board tax audit sacramento
- represent Employment Development Department tax audit sacramento
- represent State Board of Equalization tax audit sacramento
- sales tax
- use tax
- income tax
- audits
- appeals
- tax court
- debt resolution
- trust fund recovery
- tax shelter defense
- property tax
- estate planning
- excise tax
- aviation
- airplane
- 30 Day Letters
- All California and Federal Tax Matters
- Amnesty Tax Programs
- Bank Levy Defense
- California Franchise Tax Board Matters
- Compliance Failures
- Criminal Tax Matters
- Employment Development Department Tax Matters
- Employment Tax Matters
- Expert Witness Testimony
- False or Fraudulent Tax Returns
- Fifth Amendment Concerns
- Grand Jury Representation
- Income and Collections Matters
- Innocent Spouse Applications
- Installment Agreements
- International Tax Compliance
- Interpretation of IRS Revenue Rulings
- IRS Audits and Appeals
- IRS Collections
- IRS Criminal Investigations
- IRS Summons Defense
- Lien
- Levy
- and Garnishment Appeals and Removal
- Negligence and Fraud Penalty Abatement and Defense
- Non-filer
- Unfiled
- and Failure to File Status
- Offers in Compromise
- Offshore Asset Matters
- Private Letter Rulings
- Representing practitioners in disciplinary actions before the IRS Office of Professional Responsibility and other Circular 230 matters
- Sales Tax
- Use Tax
- Property Tax
- Transit Tax Defense
- Seizure and Jeopardy Assessment Defense
- State Board of Equalization Tax Matters
- Statutory Notice of Deficiency Response
- Tax Evasion Defense
- Tax Litigation
- Tax Shelter and Promotor Defense
- Tax Violations of U.S. Banking and Securities Laws
- TEFRA
- Pass-Through
- Partnership
- Subchapter S
- LLC and LLP Tax Matters
- offshore voluntary disclosure initiative 2011
