When it comes to dealing with the IRS or state tax authorities, it's crucial to have a professional tax attorney in Chippewa Falls, WI, like Johnson Tax Law P.C., for audits, administrative appeals, and litigation. Eric Johnson has practiced tax law since 1995, including six years as an attorney with the Internal Revenue Service. He offers direct, no-nonsense advice and representation in tax matters focused on efficiently getting you maximum results. Eric can handle a tax controversy at just about every stage and is licensed to practice before the IRS, the U.S. Tax Court, and numerous courts in Minnesota and Wisconsin. Need top legal advice? Contact Eric Johnson at Johnson Tax Law P.C. for a consultation.
Explore offerings from Johnson Tax Law P.C. on 103 N Bridge Street in Chippewa Falls, with popular services and services available at this location.
Johnson Tax Law P.C. - Services+Products
10 items
services
income tax procedure
u.s. tax court litigation
u.s. district court tax litigation
eighth ninth circuit tax appeals
audit representation
irs appeals representation
income tax consulting
employment tax consulting
promoter penalties
tax shelters
Services
18 items
Services
Income Tax Procedure
Matters of income tax procedure at all stages are the focus of Eric’s practice, and his strongest area of expertise. Income tax procedure, apart from the substance of income tax law, is a maze of complex provisions: audits, statutes-of-limitations on assessment and collection, administrative appeals rights, court procedures, interaction with bankruptcy litigation, vicarious liability for tax debts.
U.S. Tax Court Litigation
Eric practices regularly in cases before the U.S. Tax Court, and has represented both the IRS and taxpayers. Many attorneys are registered to practice before the U.S. Tax Court. Initial registration is generally open to any attorney, but fewer attorneys have actually litigated (and won cases) before the U.S. Tax Court. The U.S. Tax Court is a peculiar institution, with its own procedures and is a forum very different from either the U.S. District Courts or state courts.
U.S. District Court Tax Litigation
Generally the last forum for refund litigation, which is often the last stage of litigation, and a useful tool for pursuing certain matters where the taxpayer has not acted timely to dispute assessment. For certain tax categories, U.S. Tax Court litigation through the Collection-Due-Process hearing route may be a less expensive alternative to U.S. District Court litigation.
Eighth, Ninth Circuit Tax Appeals
The Eighth Circuit Court of Appeals has jurisdiction over Minnesota, North and South Dakota, Iowa, Missouri, Nebraska, and Arkansas. The Ninth Circuit Court of Appeals has jurisdiction over California, Arizona, Nevada, Idaho, Montana, Oregon, Washington, Alaska, and Hawaii.
The Circuit Court jurisdiction also may matter in U.S. Tax Court litigation – the Tax Court follows the law of the Circuit with jurisdiction over the taxpayer.
Eric is authorized to practice before the Eighth and Ninth Circuits.
Audit Representation
A tax audit does not have to be a nightmare. Proper representation generally pays for itself, especially in complex situations or where the tax at issue is substantial. Many taxpayers do not realize that the examiner does not have their interest at heart, and that conclusions of an examiner are often more subjective than they appear. In routine audit situations, a good accountant is needed. In more complex situations, and with respect to legal as opposed to accounting issues, a good tax lawyer should also be considered.
IRS Appeals Representation
One of the best opportunities to reach a satisfactory result with the IRS is through the Appeals process. Appeals officers are highly trained IRS personnel empowered to ‘settle’ cases where necessary, and, because they have not participated in the underlying determination, they generally approach cases with an open mind. IRS Appeals is the best procedural opportunity to resolve a tax dispute informally and efficiently.
Income Tax Consulting
Eric advises on complex income tax issues prior to return filing where the issues are complex, e.g. with respect to international issues. Eric’s practice, however, is more heavily focused on tax controversy with respect to income tax, i.e. audit representation, IRS Appeals representation, U.S. Tax Court representation, and representation in other forums.
Employment Tax Consulting
It is not difficult to err in the maze of state and federal employment taxes, which is why for most companies, even smaller companies, it is simply easiest to ‘farm out’ this function to a (reputable) payroll service.
The penalties for non-compliance in this area can be particularly harsh (e.g. strict penalties for failing to deposit timely, at times up to 10% of gross payroll as the penalty for mis-filing of W-2s). And for owners of business entities (and even ‘key’ managerial employees), personal liability may survive the demise of the business, pursuant to the trust fund penalty provisions.
Promoter Penalties
Once upon a time, the consequences of poor tax reporting were borne almost exclusively by the taxpayer. The tax laws, however, in the last ten years have greatly increased the penalties and consequences for tax professionals who engage in overly aggressive income tax positions and tax shelters. Of course, a ‘tax shelter’ may be in the eye of the beholder – or it may be defined with some exactness in the IRS publications on ‘listed transactions’.
Tax Shelters
All federal and state tax agencies have in recent years clamped down on perceived ‘tax shelters’, and increased civil and criminal penalties for all participants. The difficulty is that one man’s honest tax avoidance is another’s dishonest tax evasion.
Criminal Tax Issues
Unfortunately, tax issues can become criminal tax issues. At both the federal and state levels, the criminal statutes often include vague language, leaving the imposition of charges largely at the discretion of federal and state tax officials. The best solution, of course, is to avoid the criminal referral for investigation through early professional representation.
Sales, Use, Income, and Employment Tax
Minnesota income tax generally follows federal income tax, but the interaction between these two independent sovereigns creates much complexity in tax procedure. For many medium-size businesses, Minnesota sales tax issues are often more important than income tax issues. Unlike the income tax provisions, which generally work harmoniously to ensure that income is taxed, sales tax provisions are often counter-intuitive, contradictory, and at times arbitrary. A slight distinction under the sales tax statutes may mean several hundred thousand dollars of tax and penalties to the uncounseled business.
Collection-Due-Process (CDP) Hearings
Collection Due Process hearings are an opportunity for the taxpayer at the federal level to receive Appeals review of liens or proposed levies. They are an important procedural device for taxpayers to avoid erroneous collection, or collection that creates a hardship. An unfavorable Collection Due Process hearing result may also trigger U.S. Tax Court review, in some circumstances even review of the ‘merits’ of the underlying tax.
Ignoring the Notice of Lien or Final Notice of Intent to Levy at the federal level, i.e. not filing a Collection Due Process hearing request, can have serious later procedural consequences on the case.
Tax Lien/Levy Removal
The IRS protects its position through liens, and enforces its position through levies. Lien issues are complex, because they are at the intersection of federal tax law and state property tax principles. Levies, issued generally only at the end of the assessment and collection process, are the ‘knock out’ blow for most taxpayers and business, and unless a release is properly obtained, generally will drive the individual taxpayer into bankruptcy and force the business taxpayer to end operations.
Tax Bankruptcy
Eric does not typically file general bankruptcy petitions. However, bankruptcy and tax for many petitioners are intertwined, and a good tax lawyer may be essential to determine the correct treatment of tax issues in a bankruptcy case.
Estate And Gift Tax Consulting
Eric does not offer routine tax-planning advice with respect to estate and gift taxes. However, Eric does handle complex estate and gift tax issues, does review estate and gift tax returns, and where necessary litigates estate and gift tax issues.
Offers-In-Compromise/Installment Arrangements
Because of the business actions of certain disreputable companies, offers-in-compromise often have a bad reputation. However, in the correct situation, an offer-in-compromise application offers both the taxpayer and the IRS an opportunity to reach a reasonable agreement to reduce the tax principal outside of the bankruptcy process. Given the limited ability to discharge taxes through bankruptcy in many situations, the offer-in-compromise program may be the taxpayer’s only option to reduce an unbearable tax load. The offer-in-compromise program is available at both the federal and Minnesota levels.
International Tax Issues
Eric handles international tax issues. He has worked on international tax issues of publicly traded companies and on the individual level. He has also personally lived and worked abroad and is fluent in German. International tax issues are complex and involve simultaneous analysis of state, federal and foreign rules, as well as any applicable international tax treaties.
Currently, international tax issues often arise in the context of increased reporting requirements for international money transfers, including FBAR reporting and reporting on inbound transfers. Failure to comply with these reporting requirements can lead to severe penalties and potential criminal charges.
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amber nordsving
May 5, 2022
5.0
I have been using Eric as my tax attorney for years. He is so knowledgeable and has helped me through multiple tax situations from my business to personal to even a large estate that had to be handled correctly and promptly. I never doubt Eric has my best interest in mind when it comes to my many aspects of tax law he has handled. When you use Eric, you know your in great hands!
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Lina Ladner
May 2, 2022
5.0
Very knowledgeable and experienced. Made me feel like a valued client! Highly recommended.
DC
Dawn Crowe
May 2, 2022
5.0
A few years ago when I was dealing with some very intense issues with the IRS, I saw Eric as a referral from a friend. Eric was kind, honest and knowledgeable. He instantly made me feel at ease and helped answer all my questions and helped me understand my situation and options.
Thank you, Eric! I appreciate you.
Frequently Asked Questions About Johnson Tax Law P.C.
Do you offer free consultations?
No, we charge $350 for a one-hour consultation. We carefully evaluate inquiries beforehand to ensure that only those who appear to need a tax attorney are scheduled for a consultation.
After the consultation, do I need to retain you?
Not at all. Often, the consultation is enough to address the concern or clarify the tax issue. While we don’t provide binding legal advice during the consultation, we do offer insights and potential strategies. Formal legal advice is only available once you retain our services.
What are your retainer fees? And what are retainer fees?
A retainer is a prepaid deposit applied to future legal work. We typically require a retainer before beginning work. The amount depends on the complexity of the case and usually falls between $3,000 and $10,000. For simpler tasks like reviewing tax records, a $1,000 retainer may be sufficient. More involved matters, such as court representation or criminal cases, generally require a higher retainer. Our hourly rate is $350, billed against the retainer, with a reduced rate for paralegal work.
Do you perform work on a flat-fee basis?
Very rarely. A flat fee is a one-time payment for a specific service or outcome, regardless of how many hours are involved. Because tax matters often vary in complexity, we typically bill by the hour.
Do I need a tax attorney?
If you're asking yourself that question, it's likely worth scheduling a consultation. We can help you determine whether legal representation is necessary.
Can an accountant handle my case just as well?
Not in cases that require legal knowledge. Accountants are excellent at preparing returns and managing financial data, but they aren’t trained in legal procedures. If your case involves audits, collections, or disputes with tax authorities, a tax attorney is better suited to handle the legal complexities. Only attorneys can represent you in court.
If I retain a tax attorney, is there a role for an accountant on my case?
Yes, and in many cases, they should be. Accountants can assist with return preparation and calculations, often at a lower cost than legal services.
Do you prepare and file tax returns?
We don’t typically handle current-year tax return preparation. That’s best left to an accountant. However, we do work on cases involving multiple years of unfiled returns, where legal and procedural knowledge is essential. In those cases, the actual filing may still be done by an accountant.
How long will my case take?
It depends on the specifics. Cases involving unfiled returns or disputes with tax authorities can take several months or more. As we often remind clients, “It took years to get into this situation—it may take months or even years to resolve it properly.”
Do you handle offer-in-compromise claims?
Yes, when appropriate. More importantly, we help determine whether this program is the right fit for your situation. In some cases, other solutions may be more effective. Unfortunately, some tax resolution firms push this option without fully evaluating its suitability.
Do you handle bankruptcy cases?
We don’t file bankruptcy cases ourselves, but we do assess whether bankruptcy is a good option. If it is, we refer clients to experienced bankruptcy attorneys and often assist with the tax-related aspects of the case.
Do you handle tax lien issues?
Yes, we regularly handle property-related issues involving tax liens.
Do you offer free consultations at Johnson Tax Law P.C.?
No, consultations cost $350 for one hour after careful evaluation to ensure legal need.
Am I required to retain Johnson Tax Law P.C. after the consultation?
No, retention is not required; the consultation often clarifies your tax issue and provides potential strategies.
What are retainer fees and how much does Johnson Tax Law P.C. charge?
Retainers are prepaid deposits applied to legal work, typically between $3,000 and $10,000 depending on case complexity; hourly rate is $350.
Does Johnson Tax Law P.C. work on a flat-fee basis?
Flat fees are rare; billing is usually hourly due to the complexity variability in tax matters.
How can I determine if I need a tax attorney?
If you question the need, scheduling a consultation can help determine if legal representation is necessary.
Can an accountant handle my tax legal issues instead of a tax attorney?
Accountants manage returns and data but cannot handle legal procedures, audits, or court representation like a tax attorney can.
What services does Johnson Tax Law P.C. provide related to tax disputes?
They offer representation for audits, tax appeals, litigation before the IRS, U.S. Tax Court, and courts in Minnesota and Wisconsin.
What are Johnson Tax Law P.C.'s business hours?
Open Monday to Thursday from 10:00 AM to 5:00 PM, and Friday from 9:00 AM to 3:30 PM; closed on weekends and certain holidays.
What nearby places can I visit around Johnson Tax Law P.C. in Chippewa Falls?
Nearby you can visit Bridge Street Brew for coffee, Irvine Park Zoo for family outings, or Wissota Chophouse for dining.
How can nearby legal services like Janet McDonough Attorney At Law assist me alongside Johnson Tax Law P.C.?
Nearby legal firms such as Janet McDonough Attorney At Law and Wiley Law SC offer complementary legal services you may consult for other legal needs.
Are there financial advising services near Johnson Tax Law P.C. for comprehensive planning?
Benefit Wealth Partners is nearby offering financial advising and investing services which can complement your tax legal planning.
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