When a tax dispute with the IRS escalates, it often ends up in litigation. For many taxpayers, the process begins with an audit or notice of deficiency and quickly becomes a legal battle that places both finances and personal freedom at risk. Facing the IRS can feel overwhelming, especially when you know they have attorneys and investigators working against you from the start.
We know how serious these cases are. Our dedicated tax litigation attorney represents clients in both civil and criminal disputes. If you are dealing with common litigated tax issues in Baltimore, we could help you understand your options and provide the aggressive defense you need.
Civil tax litigation involves disputes that do not carry criminal penalties but still present serious risks. In Baltimore, commonly disputed tax situations include:
Even though civil cases do not involve prison time, they can result in overwhelming debt through fines, penalties, and interest. We prepare every case with the goal of protecting your financial stability. We negotiate when possible, but we also prepare to defend you in court if the IRS refuses to reach a fair resolution.
While most tax disputes remain civil, the government occasionally alleges willful violations of tax law. Criminal tax litigation is rare but extremely serious. These cases often involve accusations of:
When prosecutors claim that your actions were intentional, they pursue not just financial penalties but potential prison sentences.
Our Baltimore lawyer is familiar with frequently disputed tax issues. We will examine every detail of the government’s case, from how evidence was obtained to whether the IRS meets its burden of proof. Criminal charges require the highest standard of defense. Convictions can lead to steep fines, long-term reputational harm, and incarceration. We have the courtroom experience and tax law knowledge needed to protect your freedom.
Tax litigation is not only about the facts but also about strict legal procedures. In Baltimore, disputes often require filing a petition in U.S. Tax Court, usually within 90 days of receiving a notice of deficiency. Missing this deadline may completely prevent you from contesting the claims made by the IRS.
Tax Court also requires responses to discovery requests, document production, and potential expert testimony on issues such as business valuation or accounting methods. Many cases resolve through settlement with IRS counsel, but settlement negotiations are most effective when the government knows you are ready to try the case if necessary. We carefully manage every stage of the process to protect your rights.
When you are facing tax litigation, the outcome of your case can affect your finances, your career, and even your liberty. We could provide the focus, knowledge, and experience your case requires and fight to ensure fair treatment. Call today to discuss common litigated tax issues in Baltimore and schedule a case review.