Instructor
Eli Noff
Instructor
Eli Noff, JD, CPA is a skilled tax attorney and CPA, who focuses his practice on defending clients before the IRS and state taxing authorities. With extensive experience in international tax matters, Eli focuses on issues including compliance, voluntary disclosures, streamlined filing procedures, and penalty abatements. His practice spans a wide array of services, from assisting clients with IRS examinations and appeals to handling international tax consulting, tax debt resolution, and matters before the United States Tax Court.
Throughout his career, Eli has helped clients manage complex tax debt situations, utilizing solutions such as offers in compromise, installment agreements, and collection alternatives. His goal is to provide personalized solutions based on each client’s unique circumstances, using his deep understanding of tax law to secure the best possible outcomes.
Eli serves clients in Maryland, the District of Columbia, and federal tax clients nationwide.
Tax Law, Tax Controversy, International Tax Consulting
Eli has presented on various tax topics, including IRS collections, international tax compliance, and managing significant tax debts. He has also appeared on The Goldstein on Gelt Show to discuss the importance of FBAR reporting.
Eli has authored numerous articles on topics such as foreign trust reporting, IRS enforcement priorities, FBAR compliance, and international tax strategies. His publications offer valuable insights for professionals and taxpayers navigating the complexities of tax law.
Join attorney Eli Noff to discuss common tools and tactics used to help taxpayers resolve IRS tax debts in complex situations faced by individuals and business owners. We will discuss the fundamentals of tax assessments, the collection process, properly utilizing collection due process rights, the various collection alternatives available, practical tips, and IRS enforcement tools. Clients can face a host of drastic consequences, including:
1. Bank and third-party levies
2. IRS Liens
3. Threats of Injunctions and business closure - In business repeaters or pyramiding (i.e., growing 941 balances)
4. Assertion of Trust Fund Recovery Penalties (Pre- & Post- Assessment Balance Considerations)
5. Passport Revocation