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Top Tax Lawyers in Washington | 22 available

22 Tax lawyers are available in Washington, District of Columbia. These lawyers are rated between 4.8/5 to 5.0/5 and 35% provide free consultation.

Tax Lawyers Nearby Washington (by distance)

Within 5 miles near you

Within 25 miles near you

Tax Attorney (McLean Area) 22102 10.5 miles (2 lawyers)


Tax Case Statistics Overview

Tax Case Timeline

Min3Max18

Tax case timelines in Washington typically range from a few months for straightforward matters to over a year for complex disputes, reflecting court schedules and case complexity.

Washington Court Backlog

Low50Medium120High250

The estimated backlog reflects the number of pending tax-related cases at various court levels, with higher numbers indicating periods of increased filings or slower resolution rates.

Tax Washington Filing Volume

Min15Max40

Monthly tax case filings in Washington generally fluctuate based on IRS activity, state enforcement, and taxpayer disputes, with an average range reflecting both individual and business matters.

Tax Case Outcomes

Pre-litigation35Post-filing25Trial10

Estimated success rates are higher in pre-litigation stages, as many disputes settle before filing. Success rates tend to decrease as cases proceed to trial due to increased complexity and burden of proof.

Avvo Rating: Rated 5.0 out of 5
Lawyers Rating: Rated 4.7 out of 5
Google Rating: Rated 5.0 out of 5

Stuart Bassin

Firm: The Bassin Law Firm
1629 K St NW Ste 300 , Washington , District of Columbia 20006
Practice Areas: Tax
Welcome to the Bassin Law Firm. The firm is committed to providing sophisticated tax dispute and commercial litigation services to clients seeking top flight representation at lower costs.Stu Bassin, the principal of the firm, provides clients with the benefits of experiences, skills, and innovative best practices he has developed during a 25 year career representing both the IRS and private clients in high-stakes tax disputes and other commercial litigation. He welcomes the opportunity to help solve your problems.. Stu Bassin has been a leading figure in the federal tax arena for the past two decades.  He founded the Bassin Law Firm following a long career as one of the U.S. Department of Justice’s top tax litigators and a stint as the national leader of the civil tax litigation practice of an AmLaw 100 law firm.The U.S. Justice Department has recognized his skills by naming him an Outstanding Attorney on six different occasions. His work for private clients was recognized by U.S. News and World Report, which named his prior firm as one of the country’s top 15 tax litigation firms. He is recognized as a thought leader in the profession, frequently speaking at bar association events and publishing in leading professional journals.Stu handles a wide variety of tax matters, particularly involving disputes with the IRS. He is one of the leading tax litigators in the country and has tried many of the most prominent cases of the past decade. He also has broad expertise in civil litigation, particularly complex cases and matters involving electronic discovery questions. Often, he advises small businesses on an array of general corporate and business issues.He lives in Bethesda, Maryland with his wife, daughter, and dog. In his free time, he served on the board of his local high school crew club and is involved in other community affairs. He is admitted to practice in Maryland, the District of Columbia, and many federal courts.
Avvo Rating: Rated 5.0 out of 5
Lawyers Rating: Rated 5.0 out of 5
Google Rating: Rated 5.0 out of 5

Zion Levi

Firm: Dearson, Levi & Pantz, PLLC
800 Connecticut Avenue, NW , Washington , District of Columbia 20006
Practice Areas: Tax
I am an experienced tax, business transactions and real estate attorney and seasoned legal advisor to domestic and international businesses and business owners.. My tax practice encompasses all facets of federal income tax law and related state income taxation, with a particular focus on tax controversies, optimal tax planning and international taxation. I have substantial expertise in representing clients during IRS audits and other examinations, at the IRS Office of Appeals, the IRS Advance Pricing Mutual Agreement (APMA) Program, the IRS Criminal Investigation Division (CID), and  the United States Tax Court. I regularly counsel clients on matters such as cryptocurrency, permanent establishments, methods of accounting, transfer pricing, financial products, voluntary disclosures, like-kind exchange under IRC 1031, branch profit tax, intercompany transactions, tax free mergers, acquisitions and other reorganizations (M&A), consolidated tax returns, hybrid structures, foreign tax credits, tax treaties, controlled foreign corporations (CFCs), passive foreign investment companies (PFICs), Foreign Derived Intangible Income (FDII), Global Intangible Low-Tax Income (GILTI) and Base Erosion and Anti-Abuse Tax (BEAT).. In the area of business transactions, my acumen proves highly valuable when strategizing efficient acquisition structures, in negotiating complex mergers and other business combinations, in obtaining favorable Private Letter Rulings (PLRs), and in securing Advance Pricing Agreements (APAs) and competent authority relief. I regularly counsel on matters such as tax free combinations and reorganizations, transfer of intangibles, allocation of purchase price, noncompete arrangments, personal goodwill, licensing and foreign exchange (FX) issues. I served as counsel on numerous business acquisitions ranging in size from $500 thousand to more than $500 million.. In the area of real estate, I have extensive experience in a wide range of commercial real estate transactions, including the acquisitions and dispositions of commercial buildings, like-kind exchange under IRC 1031, Real Estate Investment Trusts (REITs), tenancy in common (TIC), commercial leases, ground leases, joint ventures, and permanent and mezzanine financing. I have served as lead negotiator on multiple acquisitions and dispositions of commercial buildings of all classes, and have authored tax opinions in the area of like-kind exchange under IRC 1031.. I draw upon more than 24 years of legal experience in representing clients in virtually every domestic and international industry vertical. I am a contributor national expert to the Bureau of National Affairs (BNA), a frequent speaker and panelist in CLE programs, including programs produced and sponsored by the American Bar Association (ABA), had published extensively in respected industry and professional publications, and have had my work cited in authoritative legal treatises.

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Disclaimer: This content is based on aggregated public information and estimated market trends. It is provided for informational purposes only and does not constitute legal advice.