Audit Defense
Represent you before the IRS in correspondence, office, and field examinations — you don't meet with the IRS.
- Form 2848 power of attorney
- Document production and advocacy
- Revenue agent negotiation
- 30-day letter response
Audit defense, collections resolution, appeals — under unlimited practice rights before the Internal Revenue Service as authorized by 31 U.S.C. §330 and Circular 230.
Each engagement begins with a written scope and a flat or hourly fee disclosed in advance, in compliance with Circular 230 §10.27.
Represent you before the IRS in correspondence, office, and field examinations — you don't meet with the IRS.
Under-reporter notices, math-error notices, and correspondence examinations resolved with proper documentation.
Streamlined, non-streamlined, and partial-pay installment agreements with the IRS.
First-time abatement and reasonable-cause abatement for failure-to-file, failure-to-pay, and accuracy penalties.
IRS settlement program for taxpayers who cannot pay their full liability — documented and substantiated.
IRS Office of Appeals representation and CDP hearings — independent of the original examiner.
The same workflow whether the engagement is a single 1040 or a multi-entity consolidation — predictable, documented, and auditable.
Review the notice, sign Form 2848 Power of Attorney, and pull full IRS transcripts to establish the full picture.
Identify the best resolution — first-time abatement, installment agreement, OIC, audit reconsideration, or appeal.
Prepare and file the required response, protest, or collection resolution package with full documentation.
Negotiate with the IRS on your behalf, confirm resolution in writing, and close out the POA when the matter is complete.
Representation work is billed hourly at $250/hour with retainers scoped to the matter. Note on scope: Enrolled Agents represent taxpayers at the IRS administrative level — before the examining agent, the Office of Appeals, and collections. U.S. Tax Court litigation requires an attorney or an EA who has passed the Tax Court examination; we will refer Tax Court petitions out when necessary. See the full public fee schedule for detailed breakdowns and Circular 230 §10.27 compliance notes.
Upload your prior return and supporting documents through the secure Client Portal, or schedule a consultation to discuss your matter.