The RegistryCounty Record · California

Tax Attorneys in Los Angeles County, California

Counsel for the IRS and the FTB: audits, liens, and negotiated resolutions. In Los Angeles County, that work runs through the Superior Court of California, County of Los Angeles. This directory presents tax records from official State Bar of California data in neutral order.

Home to roughly a quarter of all Californians, Los Angeles County operates the largest unified trial court in the nation, with dozens of courthouses from Lancaster to Long Beach. The court of record is the Superior Court of California, County of Los Angeles · counsel who appear there regularly read the local calendar better than any brochure.

The law also keeps time: the IRS generally has three years from filing to assess additional tax; the FTB has four (Cal. Rev. & Tax. Code § 19057) under 26 U.S.C. § 6501. Substantial omissions double the federal window to six years (26 U.S.C. § 6501(e)); no return or fraud means no limit. A Tax Court petition must follow a notice of deficiency within 90 days (26 U.S.C. § 6213). The plaque below carries the citation; the roster that follows carries the rest.

This page is the Los Angeles County chapter of the registry's statewide record · Tax Lawyers in California collects all 58 counties.

The clock & the court

Statute of limitations

The IRS generally has three years from filing to assess additional tax; the FTB has four (Cal. Rev. & Tax. Code § 19057).

26 U.S.C. § 6501

Substantial omissions double the federal window to six years (26 U.S.C. § 6501(e)); no return or fraud means no limit. A Tax Court petition must follow a notice of deficiency within 90 days (26 U.S.C. § 6213).

Court of record

Superior Court of California, County of Los Angeles.

County seat: Los Angeles

Official court information, locations, and filing rules: www.lacourt.org

Tax · Los Angeles County roster

1,215 attorneys on the official State Bar of California roll list tax among their practice areas with an address of record in Los Angeles County.

1,168 of them hold an active licence; the remainder are recorded as inactive and are not currently eligible to practise.

The roster concentrates in Los Angeles (589), Pasadena (63), Beverly Hills (58) and Santa Monica (45).

84 hold a State Bar Certified Legal Specialist designation, a certification issued by the State Bar's Board of Legal Specialization, and not a rating or a ranking.

70 are recorded as taking client work in a language other than English.

Admission years on this roster run from 1959 to 2026.

The employers most represented here are Ernst & Young LLP (12), Loeb & Loeb LLP (11) and IRS Office of Chief Counsel (10).

Steven D. Rubin

Business Law · Santa Monica

Bar #149975 · Admitted 1990

Official record

Jason D. Russell

Bankruptcy · Los Angeles

Bar #169219 · Admitted 1993

Official record

Daniel M. Rygorsky

Business Law · Los Angeles

Bar #229988 · Admitted 2004

Official record

Sally K. Saab

Estate Planning · Los Angeles

Bar #302551 · Admitted 2015

Official record

Cruz Saavedra

Tax · San Pedro

Bar #90102 · Admitted 1979

Official record

Joel Martin Sachs

Estate Planning · Los Angeles

Bar #59012 · Admitted 1974

Official record

Monica Safapour

Estate Planning · Los Angeles

Bar #264905 · Admitted 2009

Official record

The full Los Angeles County roster · 1,168 attorneys with an active license and a tax practice area: is listed by surname in the 6 sections below.

Tax matters in Los Angeles County

The matters this field covers, as Californians search for them. Each attorney's own profile states which of these they take.

  • IRS and FTB audits
  • tax debt and installment agreements
  • offers in compromise
  • unfiled tax returns
  • payroll tax problems
  • sales tax (CDTFA) audits
  • tax liens and levies
  • innocent spouse relief
  • tax court litigation
  • cryptocurrency and foreign account reporting

Have a tax matter? Submit your case for review.

Open a free case file, choose how attorneys may contact you, and review any terms they send. You decide whom to contact and whether to proceed.

In the last 30 days attorneys have read 1 filed matter on the registry.

Submit your case for review

Legal information, not legal advice · The AI reception identifies itself

Tax questions, cited

How far back can the IRS or the California FTB audit me?

The IRS generally has three years from the return's filing to assess more tax (26 U.S.C. § 6501), extended to six years when income is understated by more than 25% (§ 6501(e)) and unlimited for fraud or unfiled returns. The California Franchise Tax Board has four years (Cal. Rev. & Tax. Code § 19057), and California has no collection-barring statute comparable to the IRS's ten-year rule until 20 years after assessment (§ 19255).

What can I do if I cannot pay my tax debt?

Both agencies offer structured resolutions: installment agreements (26 U.S.C. § 6159), offers in compromise settling the debt for less than owed where collection potential is limited (26 U.S.C. § 7122; FTB equivalent under Rev. & Tax. Code § 19443), and currently-not-collectible status. Penalty abatement for reasonable cause is separately available. Ignoring notices forfeits appeal rights that are often the real leverage.

What is the deadline to challenge an IRS notice of deficiency?

Ninety days from the notice date to petition the U.S. Tax Court (26 U.S.C. § 6213), the only forum where you can litigate before paying. Miss it, and the tax is assessed; challenge then requires paying first and suing for a refund (26 U.S.C. § 7422). California FTB deficiency protests run 60 days (Rev. & Tax. Code § 19041), with appeals to the Office of Tax Appeals.

Am I responsible for my spouse's tax debt?

Joint filers are jointly and severally liable (26 U.S.C. § 6013(d)(3)), but innocent spouse relief under 26 U.S.C. § 6015 can relieve a spouse who did not know of understatements and for whom liability would be inequitable; California mirrors this in Rev. & Tax. Code § 18533. Community property rules complicate separate filings in California, which is one reason these cases benefit from counsel.

When does unpaid payroll tax become personal liability?

When the business fails to remit withheld taxes, the IRS can assess the trust fund recovery penalty, 100% of the unremitted amount, personally against any "responsible person" who willfully failed to pay (26 U.S.C. § 6672). California's EDD imposes similar personal liability (Cal. Unemp. Ins. Code § 1735). Owners, officers, and even bookkeepers with check-signing authority can be reached.

Legal information, not legal advice.

From the answer files

Every tax attorney in Los Angeles County, by surname

Tax by city in Los Angeles County

Related counsel in Los Angeles County

Tax in nearby counties

Source: 26 U.S.C. § 6501 · State Bar of California licensee records · Checked: · Maintained by the California Attorney Registry from official State Bar of California records. Legal information, not legal advice.

Read the record. Then decide.

Describe your matter once, review the verified records, and place the call; the choice is always yours.

Find Your Counsel

278,688 attorneys · 58 counties · Official State Bar records