Our Expertise

The Complex Tax Law Firm is specifically equipped to apply its expertise toward significant and complex corporate taxation issues.  In addition to direct corporate clientele, the Firm works with corporate and independent CPAs, Bookkeepers and Corporate Counsel nationwide with significant taxation issues that are outside their scope and inclination to take on or address.  We revel in the opportunity to delve into and resolve these frustrating and time consuming issues – for not only our clients as taxpayers – but also for those professionals who seek out our unique skill-set to include as an additional arrow in their quiver.

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COVID-19 / Coronavirus Tax Implications

Navigating the tax implications caused by the far-reaching economic impacts of the COVID-19 / Corona Pandemic should not be done without properly informed counsel. CTL is well-positioned and at the front line of these issues and can assist businesses small and large with relevant and significant legal representation with respect to the same.

IRS Collections

  • Payroll Tax Issues
  • Sales Tax Issues
  • Complex Installment Agreement Negotiation
  • Lien Discharge (COD and COS)
  • Factoring Company Options
  • Appeals Hearings / Tax Court Options

Business Taxation

  • Tax Based Company Dissolution
  • Entity Restructuring
  • Tax Based Operational Counsel
  • Company Startup and Tax Law Planning

Taxation Opinions

  • Research and Confirmation of Defined Positions under the Current Tax Code
  • Verification of Legitimacy of Business Actions for Tax Purposes

CPA Representation

  • Fraudulent and Frivolous Filing Penalties
  • Audit Counsel

Grow and Dispensary Related

  • Legal Formation and Operation Counsel for Tax Purposes
  • Operational Legal Counsel to Minimize IRS and State Tax Penalty
  • Audit Preparation and Representation
  • Collections Representation
  • Officer’s Representation for Personal Assessments
  • 280E Regulations But while 'today prosecutors will almost always overlook federal marijuana distribution crimes in Colorado,' it does not mean the 'tax man' is willing to turn a blind eye. Feinberg v. C.I.R., 808 F.3d 813, 814 (10th Cir. 2015).Green Solution Retail, Inc. v. United States, 855 F.3d 1111, 1114, 2017 U.S. App. LEXIS 7746, *5, 2017-1 U.S. Tax Cas. (CCH) P50,213, 119 A.F.T.R.2d (RIA) 1658, 2017 WL 1573816 (10th Cir. Colo. May 2, 2017)
  • Hemp Industry Taxation

Corporate Officer and Successor or Alter Ego Entity Representation

  • Successor and Alter Ego Assessment
  • Trust Fund / Civil Penalty – Individual Officer and Third Party Assessment
  • Personal State Taxation Assessment – Sales, Employment and Withholding
  • Corporate Tax Lien Encumbrance and Limitations