Lana Kurilova Rich – Business Tax Lawyer Defends Against Non-Compliance Accusations
Facing non-compliance with state sales tax remittance charges can be an intimidating accusation but with the help of Lana Kurilova rich, Seattle’s experienced business tax lawyer, we can defend against the accusations. Attorney Kurilova Rich has been helping people navigate tax audits and defend against non-compliance accusations for years.
Our business tax law firm can answer your questions and give you the confidence you need to make informed legal decisions. Don’t put your business or your freedom in jeopardy because you did not do all that you could to defend against the evasion of tax remittance accusations. Contact Lana Kurilova Rich PLLC for comprehensive knowledge regarding tax law, non-compliance, and audit preparation.
Business Tax Law in Washington: Help From a Seattle Tax Attorney
It is highly advisable that you discuss your situation with a tax evasion defense attorney if you receive notification that your business has recently been accused of non-compliance with state sales tax remittance. This ensures that your rights will be protected while every aspect of your business is investigated by the IRS.
Accusations of non-compliance with tax remittance laws should not be taken lightly, and it is important to have a tax attorney present during the legal process. Lana Kurilova Rich offers crucial legal advice and can help you to gather proper documents for a strong defense.
Do not underestimate the seriousness of evasion accusation — be sure to speak with an experienced tax compliance attorney about preparing for a pending audit or tax evasion hearing.
Get in Touch With a Business Tax Attorney in Seattle, WA
Attorney Rich and associates are not only a law firm specializing in state and federal tax law, we are accountants and bookkeepers with combined decades of experience serving the Seattle area. If you are properly prepared, you and your business may not suffer any lasting consequences.
Call Lana Kurilova Rich, PLLC at (425) 289-0629. You are invited to travel to our office and speak with us in person. If this is not possible, all work can be done entirely over the phone, through videoconferencing, or through e-mail. Let us know what works best for you and we will accommodate.