Practice Areas

Michael has represented individuals, exempt organizations, and businesses that have been the subject of civil and/or criminal investigations by the Internal Revenue Service and the Department of Justice, in both civil and criminal situations. In addition to resolving these situations with the agencies, Michael has litigated tax cases in the Federal District courts, including the Court of Federal Claims, as well as the Federal Courts of Appeal and the U.S. Supreme Court.

Michael is a single practitioner as compared to a partner in a large law firm so his clients deal with him directly and get the benefit of his experience and expertise at a significantly lower cost.

Michael specializes in tax controversy cases, resolving civil and criminal tax disputes with the IRS and the DOJ. His practice focuses on matters involving: 

  • U.S. Tax Controversy- civil and criminal
  • U.S. Reporting of foreign activities