Andrew J. Wyman - email

Background


For over eleven (11) years, Andrew J. Wyman’s practice has consisted primarily of representing taxpayers in front of the Internal Revenue Service and litigating federal tax cases in front of the United States Tax Court.  Andrew started working in private practice after working for the Office of Chief Counsel for the Internal Revenue Service, litigating cases in front of the United States Tax Court, and advising internally on audit and collections matters. 

Andrew’s tax practice continues currently in private practice, offering his skills, knowledge and insight in a variety of federal tax matters, representing individuals and businesses against the Internal Revenue Service (IRS) and representing taxpayers in front of the United States Tax Court.    

Areas of Practice

  •  IRS Tax Controversy

  •  IRS Tax Litigation

 Litigation Percentage

  •  30% of practice devoted to litigation

Bar Admissions and Associations

  • New York Bar Association 2000

  • Washington State Bar Association, 2002

  • East King County Bar Association

  • U.S. District Court, Western District of Washington

  • U.S. Tax Court

Education

  • Georgetown University Law Center, 2000, LL.M. Taxation.

  • Georgetown University Law Center, 2000, LL.M. International & Comparative Law.

  • Gonzaga University School of Law, 1998, J.D.

  • Eastern Washington University, 1992, BA in Business Administration (Finance, Econ).

 

 

Areas of Practice (IRS Tax Controversy)
         
IRS Assessment Defense
    
IRS Examinations (Audits)
    
Correspondence Audits
    
Tax Litigation (Notice of Deficiency)
    
Refund Claims and Suits (Federal District Court)
    
IRS Appeals
    
IRS Tax Liabilities
    
Unfiled Tax Returns (Substitute for Return)
    
IRS Audit Reconsideration

IRS Collection Defense
    
Direct Debit Installment Agreements
    
Partial Pay Installment Agreements
    
Currently Not Collectible Status
    
Removal of IRS Bank and Wage Levies (Garnishments)
    
Removal of IRS Notice of Federal Tax Lien (NFTL)
    
Collection Due Process Appeals
    
Offer in Compromise (doubt as to collectibility)
    
Offer in Compromise (doubt as to liability)
    
Penalty Abatement
    
IRS Appeals
    
Bankruptcy Planning For IRS Liabilities
    
Innocent Spouse Relief
    
Injured Spouse Relief

Miscellaneous Defense
    
IRS Payroll Tax (Employment Tax) Liability
    
Trust Fund Recovery Penalty (TFRP)
    
FOIA (Freedom of Information Act)
    
FBAR and Voluntary Disclosures


Wyman Law Firm, PS
40 Lake Bellevue Drive Suite 100
Bellevue WA 98005

info@wymanlegal.com
Tel:  (425) 451-9572
 

 
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