>>> FORMER IRS ATTORNEY --- PATRICK T. SHEEHAN >>>

>>> SERVICES: JURISDICTION OF FEDERAL COURTS / TAX LITIGATION  >>>

>>> IRS COLLECTION EFFORTS

>>> COLLECTION - INDIVIDUAL

>>> COLLECTION - BUSINESS

>>> OFFER IN COMPROMISE

>>> PAY OVER TIME/INSTALLMENT AGREEMENT

>>> INNOCENT SPOUSE RELIEF

>>> REQUEST FOR PENALTY ABATEMENT BASED UPON REASONABLE CAUSE

>>> DEEMED UNCOLLECTIBLE

>>> TRUST FUND RECOVERY PENALTY

>>> AUDITS AND AUDIT RECONSIDERATION

>>> STATUTE OF LIMITATION

>>> BANKRUPTCY

>>> JURISDICTION OF FEDERAL COURTS / TAX LITIGATION

>>> IRS NOTICES

IN SOME INSTANCES, you may have the opportunity to have your tax problem reviewed by one of the following three federal courts: the United States Tax Court, the District Court or the Court of Claims. The jurisdiction of these three courts varies depending upon each case. Accordingly, you must decide, based upon your particular circumstances, what court is best suited to handle your tax problem and which court may have the jurisdiction to hear your case.

Patrick T. Sheehan & Associates, Attorneys at Law, P.C., assesses the appropriateness of filing suit in order to resolve your liability. While an attorney for the IRS, Patrick T. Sheehan litigated extensively on behalf of the government. Now he uses these skills on behalf of taxpayers like you.

Patrick T. Sheehan & Associates, Attorneys at Law, P.C., has successfully litigated many cases against the IRS on behalf of satisfied taxpayers since its inception in 1991. Patrick T. Sheehan & Associates, Attorneys at Law, P.C., builds upon its past litigation successes and has developed a litigation program that promotes positive results for our clients.

If you would like to obtain more information, please call us.


We can help. Call us before the IRS calls you! ®



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