We are proud to announce the hiring of Ovsep Akopchikyan, Tax LL.M. Mr. Akopchikyan brings a wealth of litigation strategy and trial experience to our firm.
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In an increasingly connected economy, it’s important that private citizens and business owners tread carefully with tax implications both at home and abroad.
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If you have tax issues stemming from underpayment or non-disclosure of foreign assets, you may have heard of the “OVDP” — the IRS’ Offshore Voluntary Disclosure Program. It’s a program the IRS offers taxpayers who are exposed to potential criminal liability and/or substantial civil penalties, due to mishandling of tax payments due on their foreign […]
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Each year, the deadline for filing your taxes (usually April 15) sneaks up on many people, who end up missing it. So, you missed the deadline — now what?
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There is a new deadline for FBAR filing: taxpayers will have to submit their FinCEN 114 forms on April 15, with a 6-month extension available.
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The IRS will negotiate a settlement for taxpayers who meet specific requirements. A tax attorney is highly recommended when negotiating with the IRS.
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Penalty Relief options are available under the expanded IRS Fresh Start Initiative. The IRS still provides Penalty Relief through FTA and Reasonable Cause.
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To avoid penalties, a U.S. person with offshore assets will have to disclose those assets and the related income to the IRS, as well as pay taxes on foreign income.
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Abajian Law Tax Attorneys Vic Abajian and Aksel Bagheri attended the annual Tax Controversy Institute on October 25, 2016 at the Beverly Hills Hotel.
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Many options are available when dealing with back-taxes. A tax attorney is useful and sometimes necessary to pick the best option for a taxpayer in debt.
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