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Martens & Associates
Martens & Associates


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Federal Tax Litigation
We have the skills to represent clients at all levels, from the audit stage, through the administrative appeals process, and in court. Our lawyers are licensed to practice in all of the Texas state courts, the United States Tax Court, the United States District Courts, and the Fifth Circuit Court of Appeals.
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Texas Tax Law
Welcome to the Martens, Todd  &  Leonard website. Our firm represents clients in Texas tax and federal tax controversies and litigation. We are centrally located in downtown Austin, Texas.
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Upcoming Seminars
All of our attorneys are frequent lecturers and speakers at symposiums and seminars throughout Texas and the nation, not just for lawyers, but also for CPAs, corporate controllers, and individual taxpayers.
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Federal Tax Matters
For our federal tax clients, we handle cases involving income taxes, estate and gift taxes, excise taxes, and payroll taxes. We have significant experience handling cases involving international tax issues, domestic tax issues, employee vs. independent contractor status issues, and other complex tax issues.
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State Tax Clients
Our state tax clients include Fortune 500 companies involved in numerous industries, including tobacco and agriculture, steel, heavy equiptment manufacturing, oil and gas, high technology, petrochemical refining, equiptment leasing, defense contracting, insurance wholesale, retail, cable television, manufacturing, and service industries.
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Texas Tax Controversies
We handle tax disputes at all levels, beginning with assisting clients' tax professionals and in-house accountants with the audit. We routinely defend our clients through the Comptroller's administrative court process and in the Travis County district courts. When necessary, we prosecute cases through the Third Court of Appeals.
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IRS Offshore Voluntary Compliance Program  


 

 "We have your clients on the run. We have these banks on the run, and we're going to keep going after them," Kevin Downing, a senior trial attorney with the Justice Department's Tax Division, said at the fall meeting of the American Bar Association Section of Taxation. The Department of Justice is now cracking down on taxpayers with accounts hidden overseas, as well as the banks that facilitate it. Officials from the Department have suggested that taxpayers should make use of the IRS's voluntary disclosure program as soon as possible.

 

The IRS announced its offer of an amnesty program under which taxpayers may come into compliance with their previously undisclosed offshore bank accounts. The principal benefit is the avoidance of criminal prosecution for tax fraud and related tax crimes. Qualifying taxpayers also receive the benefit of reduced penalties. The deadline for initiating the disclosure process is October 15, 2009.

 

The program arose as a result of the IRS's belief that more than 50,000 U.S. taxpayers have hidden funds in Swiss bank accounts, principally at UBS, and have failed to report the related income on their federal returns and the ownership of the accounts on Forms TD F 90-22.1, "Report of Foreign Bank and Financial Accounts" ("FBAR").

 

Martens, Seay & Todd has substantial experience in advising and representing high-wealth individuals in the recently announced voluntary disclosure program.

 

For more information, please e-mail Jimmy Martens at jmartens@textaxlaw.com,  or Kelli Todd at ktodd@textaxlaw.com or call any of them at (512) 542-9898.

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