Tax Practice and Procedure

With a reputation of integrity and objectivity, WeiserMazars possesses a broad base of clients from privately held to public companies. Usually free of Sarbanes-Oxley constraints, our tax professionals are able to provide independent tax advice.

The professionals in our Tax Controversy & Procedure Practice have an in-depth knowledge of the laws applicable to and the policies and procedures followed by the IRS and the various state and local tax jurisdictions in the examination of tax returns, administrative appeals of examination determinations, tax court litigation, and the collection of outstanding tax liabilities. Our engagements are conducted in coordination with the client’s tax and/or accounting professionals, legal counsel, or independently, depending upon the circumstances.

We have represented individuals, estates, C corporations, Subchapter S corporations and other flow-through entities, and bankrupt estates. We have also represented qualified and nonqualified deferred compensation plans. The diverse nature of our accounting practice allows us to bring a depth and breadth of industry expertise that is particularly important when dealing with coordinated examination and industry specialization audits.

Our Tax Controversy & Procedure Practice professionals have extensive experience in representing U.S. taxpayers with international operations and foreign taxpayers with U.S. operations in a full range of administrative proceedings – seeking technical advice, negotiating advance pricing agreements, resolving transfer pricing issues, and dealing with tax treaty matters.

Our clients recognize and appreciate the value we bring to our engagements. We work collaboratively with our clients, striving to achieve value-added results.





     

     

     

     

 



Tax Practice and Procedure

With a reputation of integrity and objectivity, WeiserMazars possesses a broad base of clients from privately held to public companies. Usually free of Sarbanes-Oxley constraints, our tax professionals are able to provide independent tax advice.

The professionals in our Tax Controversy & Procedure Practice have an in-depth knowledge of the laws applicable to and the policies and procedures followed by the IRS and the various state and local tax jurisdictions in the examination of tax returns, administrative appeals of examination determinations, tax court litigation, and the collection of outstanding tax liabilities. Our engagements are conducted in coordination with the client’s tax and/or accounting professionals, legal counsel, or independently, depending upon the circumstances.

We have represented individuals, estates, C corporations, Subchapter S corporations and other flow-through entities, and bankrupt estates. We have also represented qualified and nonqualified deferred compensation plans. The diverse nature of our accounting practice allows us to bring a depth and breadth of industry expertise that is particularly important when dealing with coordinated examination and industry specialization audits.

Our Tax Controversy & Procedure Practice professionals have extensive experience in representing U.S. taxpayers with international operations and foreign taxpayers with U.S. operations in a full range of administrative proceedings – seeking technical advice, negotiating advance pricing agreements, resolving transfer pricing issues, and dealing with tax treaty matters.

Our clients recognize and appreciate the value we bring to our engagements. We work collaboratively with our clients, striving to achieve value-added results.



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