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Our extensive experience and frequent contacts with Special Agents in Charge (SACs) at the IRS Criminal Investigation Division (CID) give Dearson, Levi and Pantz an unparalleled ability to provide specialized representation to clients with complex and distinct tax needs. We regularly advise clients of all available options, and help them carefully weigh the pros and cons of each option, including whether to take advantage of any of the various Voluntary Compliance and Disclosure Programs increasingly offered by the IRS. When a formal program is unavailable or inadvisable under the circumstances, we are equipped to employ other, more personalized, approaches designed to resolve and settle matters with the IRS.

We have successfully represented clients in formal and informal domestic voluntary disclosures and offshore voluntary disclosures (OVDP). We also effectively represented clients in matters before the Federal Bureau of Investigation (FBI), the Department of Homeland Security (DHS), the U.S. Immigration and Customs Enforcement (ICE) and the U.S. Department of State.

Please contact us to discuss your matter confidentially.