International Tax Controversy & Compliance

Foreign accounts, foreign income, and foreign entities carry the harshest penalties in the tax code. FBAR penalties, Form 5471 and 3520 penalties, and offshore examinations can dwarf the tax itself – and the filing obligations catch people who never thought of themselves as international taxpayers.

We handle offshore disclosure decisions, streamlined filing compliance, penalty defense, and the examinations that follow. The right path depends on whether the failure was willful, and that is a legal judgment – not a form-filling exercise.

This page is being rebuilt as part of our site update. The practice is active and taking clients.

If you would rather talk it through, book a free 15-minute call or call us at (619) 378-3138.

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