KMD Law | Areas of Practice

Tax Law

Are you worried about getting involved in a complicated dispute with the IRS over a tax matter? Dealing with administrative audits, appeals, post-appeals mediation, foreign asset disclosures, and litigation all can be stressful and confusing if you don’t have a seasoned tax attorney on your side to guide you through the entire process.

 

At Kearney, McWilliams & Davis, we understand the importance of resolving legal disputes with the IRS that involve substantial sums of money, which is why we are here to represent you and defend your interests. Get in touch wth our firm so we can get to work on your custom legal strategy. Our lawyers will take an effective approach to negotiate a fair settlement on your behalf, and we will work hard to achieve all of your case goals.

IRS & Tax-Related Services

  • CP 2000: Notice of Underreported Income
  • CP77: Notice of Intent to Levy and Right to Collection Due Process Hearing
  • CP 90 & CP 297: Final Notice – Notice of Intent to Levy and Notice of Your Right to a Hearing
  • CP 501: Balance Due Reminder Notice
  • CP 504: Urgent Notice – Balance Due
  • LT 11: Notice to Seize Property or Levy
  • LT 73: Employment Tax Notice of Intent to Levy
  • LT 75: Second Notice of Intent to Levy
  • Offshore Voluntary Disclosure Program (OVDP)
KMD | Tax Law

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