Richmond Tax Lawyer - Our firm specializes in dealing with the many tax disputes matters and has significant skill in tax litigation. Numerous companies require our help to help them negotiate with tax authorities. We normally represent them before the courts on tax appeals.
Income, capital, commodity, and mining trade cases or taxation are all situations where our firm is knowledgeable and experienced. By utilizing all the resources which we have available, we ensure that our client is totally ready to handle audits, information requests, voluntary disclosures and reassessment proposals. Our tax solicitors normally request our tax litigators early on to be able to advise our clients concerning the tax aspects of a transaction. Should a reassessment be unavoidable, we try to solve the disagreement making use of administrative appeals. If this method does not obtain positive outcome, we attempt to simplify the circumstances prior to starting the litigation procedure. Our main objective is to help our clients come to a resolution quickly and efficiently.
We have acted in recent cases which involved transfer pricing, interpretative questions and tax avoidance. These particular questions involve scientific research and experimental development costs, foreign exchange, taxable benefits, and payroll and commodity taxes.
Our client base is formed by both domestic and foreign companies. These include several well known partnerships and public institutions, tax-exempt companies, as well as various corporations in the fields of telecommunications, financials, utilities and pharmaceuticals. We ensure that a close working relationship is maintained on both a global and national level along with chief financial officers, accountants, tax advisors, and tax executives.
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