Practice Areas

  • Internal Revenue Service

  • California Department of Tax and Fee Administration

  • Employment Development Department

  • California Franchise Tax Board

  • Federal and California Department of Labor Investigations

  • Significant Tax Court Victories​

Praesent libero sed cursus

Internal Revenue Service

Internal Revenue Service Income & Payroll Tax Audits Administrative Appeal Installment Agreement Lien and Levy Release Offer in Compromise IRS Offshore Streamlined Procedures United States Tax Court Litigation Criminal Investigation United States Attorney's Office Civil & Criminal Tax Representation Tax Refund Litigation Currency and Suspicious Activity Report Investigation -GARY H KUWADA

Internal Revenue Service​

Income & Payroll Tax Audits

We review income and payroll tax records to ensure IRS compliance.

Administrative Appeal

We help contest IRS decisions through structured appeals for fair outcomes.

Installment Agreement

Structured repayment plans allowing gradual settlement of tax liabilities.

Lien and Levy Release

We help remove IRS liens and levies to protect your financial freedom.

Offer in Compromise

We negotiate settlements to reduce tax debt and reach affordable resolutions.

IRS Offshore Streamlined Procedures

We guide you through streamlined solutions for offshore tax compliance.

United States Tax Court Litigation

We represent clients in U.S. Tax Court for complex tax disputes.

Criminal Investigation

We defend against IRS criminal investigations and protect your rights.

United States Attorney’s Office

We provide legal representation in IRS-related federal matters.

Civil & Criminal Tax Representation

We handle both civil and criminal tax cases to ensure fair treatment.

Tax Refund Litigation

We resolve IRS refund disputes through litigation when necessary.

Currency and Suspicious Activity

We assist with compliance in currency reporting and financial investigations.

California Franchise Tax Board Income Tax Audit Administrative Appeal Lien and Levy Release Offer in Compromise State Tax Court Litigation Criminal Tax Litigation -GARY H KUWADA

California Department of Tax and Fee Administration

California Department of Tax and Fee Administration

Sales Tax Audit

We review sales tax records to ensure compliance with CDTFA regulations.

Administrative Appeal

We assist in contesting CDTFA decisions through structured appeals.

Collection Matters

We help resolve tax collection issues, including payment plan negotiations.

Criminal Tax Litigation

We provide legal defence in CDTFA-related criminal tax cases.

Employment Development Department Payroll Tax Audit Administrative Appeal Collection Matters Criminal Tax Litigation - GARY H KUWADA

Employment Development Department

Employment Development Department​

Payroll Tax Audit

We review payroll tax records to ensure compliance with EDD requirements.

Administrative Appeal

We help challenge EDD decisions through structured appeals.

Collection Matters

We assist with resolving collection disputes and negotiating payment solutions.

Criminal Tax Litigation

We represent clients in criminal tax matters involving payroll taxes and EDD investigations.

California Franchise Tax Board

Internal Revenue Service​

Income Tax Audit

We review income tax records to ensure compliance with FTB regulations.

Administrative Appeal

We help contest FTB decisions through structured appeals for fair resolution.

Lien and Levy Release

We assist with lifting FTB liens and levies to protect your financial freedom.

Offer in Compromise

We negotiate settlements to reduce state tax liabilities and reach practical resolutions.

State Tax Court Litigation

We represent clients in state tax court to resolve FTB disputes.

Criminal Tax Litigation

We defend clients facing criminal tax charges involving the FTB.

Federal and California Department of Labor Investigations

Internal Revenue Service​

Criminal Tax Investigations: IRS, FTB, EDD, and CDTFA

We resolve most tax cases at the audit, appeal, or pre-trial stage—saving clients time, stress, and money. When necessary, we aggressively defend our clients in U.S. Tax Court to protect their rights and achieve favourable outcomes.

✔ In Schirle v. Commissioner, we successfully argued that the IRS could not assess penalties, interest, or taxes for years outside the statute of limitations.

✔ In Estate of Wright v. Commissioner, we secured exclusion of $1.26 million in settlement income and won attorney’s fees for our client.

Significant Court Victories

Kurotaki v. United States

Judge Seabright agreed that the United States’ motion for summary judgment regarding a willful FBAR penalty should be denied.

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