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Tax Attorney in Santa Barbara County

Federal IRS and California state tax representation for Santa Barbara County taxpayers — from the Mesa and Montecito to Goleta and the UCSB campus, the Santa Maria Valley row-crop economy to the Santa Ynez and Sta. Rita Hills wine country, and the federal and contractor workforce at Vandenberg Space Force Base. Our California Bar-admitted attorneys appear directly before the IRS, the Franchise Tax Board, CDTFA, EDD, the California Office of Tax Appeals, and the U.S. Tax Court, with Santa Barbara County petitioners typically calendared to the Los Angeles trial city at the Edward R. Roybal Federal Building.

By Parham Khorsandi, Esq. — California Bar #266658. Admitted to practice before the United States Tax Court. Last Reviewed: .

5.0 rating from 72 client reviews $100M+ in tax relief secured 2,000+ cases resolved

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U.S. Tax Court

LA Roybal trial sessions

Vandenberg SFB Work

SCRA, combat-zone, contractor

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Service area: 8 incorporated cities in Santa Barbara County · statewide CA representation Free consultation: (800) 883-8301 Last Reviewed:

Santa Barbara County taxpayers facing IRS or FTB collection

If you live in Santa Barbara, Goleta, Carpinteria, Lompoc, Santa Maria, Buellton, Solvang, Guadalupe, or anywhere across the South Coast, the Santa Ynez Valley, the Santa Maria Valley, or the Lompoc corridor, you sit inside a county where federal and California tax authorities overlap in unusual ways. The active-duty workforce at Vandenberg Space Force Base — together with SpaceX, United Launch Alliance, Northrop Grumman, and other launch contractors — brings the combat-zone exclusion under IRC §112, the Servicemembers Civil Relief Act, and federal-employee withholding files into play. Montecito and Hope Ranch estates carry Prop 19 parent-child reassessment exposure and trust-level income reporting. The Santa Ynez Valley and Sta. Rita Hills wineries generate Schedule F vineyard returns alongside CDTFA alcoholic beverage tax filings. The Santa Maria Valley broccoli, strawberry, and lettuce operations file Schedule F under federal rules and face EDD audits on H-2A farm-labor contracting. If you have an IRS or FTB balance, an audit notice, or a wage levy, this page outlines what Santa Barbara County representation looks like.

$100M+

Total tax relief secured

2,000+

Tax cases resolved

5.0

Average rating · 72 reviews

CA-Based

Los Angeles home office

Past results do not guarantee future outcomes. Each tax case is unique and turns on individual facts and IRS or FTB discretion.

Why Santa Barbara County tax matters require a California-licensed firm

Santa Barbara County operates a tax economy that looks like four different counties stacked into one. The South Coast — Carpinteria, Summerland, Montecito, Santa Barbara, the Mesa, and Goleta — runs on high-net-worth real estate, UCSB academic salaries, hospitality, and Pacific Coast tourism. The Santa Ynez Valley up over San Marcos Pass runs on viticulture: Sta. Rita Hills Pinot, Happy Canyon Cabernet, and the Santa Maria Valley AVA's heritage Chardonnay, plus the equestrian and ranching economy around Los Olivos and Santa Ynez. The Lompoc Valley anchors Vandenberg Space Force Base and the launch-services economy — SpaceX, United Launch Alliance, Northrop Grumman, the 30th Space Wing, and the SLD 30 garrison — with thousands of federal employees and contractors. The Santa Maria Valley up north is one of California's row-crop engines, putting broccoli, strawberries, lettuce, and wine grapes on Schedule F returns at scale. Each of those facts changes how federal and California tax law applies to the person across the desk.

Victory Tax Lawyers, LLP is a California-licensed tax-law firm. Both managing attorneys — Parham Khorsandi, Cal Bar #266658, and Amir Boroumand, Cal Bar #269570 — are members of the State Bar of California in active standing and admitted to practice before the United States Tax Court. We represent Santa Barbara County clients directly before the California Franchise Tax Board, CDTFA, EDD, and the California Office of Tax Appeals — no Power-of-Attorney workaround through out-of-state counsel, no referral chain.

On the federal side, our Tax Court bar admission has nationwide reach. A Santa Barbara County petitioner designating a place of trial under Tax Court Rule 140 is typically calendared to Los Angeles, with sessions held at the Edward R. Roybal Federal Building at 255 East Temple Street. Federal refund suits and criminal-tax cases proceed in the U.S. District Court for the Central District of California, Western Division, also in Los Angeles. We appear in both forums.

The sections that follow lay out the practice areas, the venue map, settlement ranges from prior cases, the seven-step engagement process, and 13 FAQs answering what Santa Barbara County taxpayers actually ask.

Your tax rights as a Santa Barbara County taxpayer

Federal taxpayer rights are codified across the Internal Revenue Code and summarized in IRS Publication 1. California adds its own protections through the FTB Taxpayer Bill of Rights at Cal. Rev. & Tax. Code Part 10.7 and parallel provisions for CDTFA and EDD. Active-duty Space Force and contractor families at Vandenberg add a third layer through the Servicemembers Civil Relief Act and the Military Spouses Residency Relief Act. Filers in the 2018 Thomas Fire and Montecito debris-flow zones can invoke a fourth set of protections under IRC §7508A.

Right to representation (federal)

Under IRC §7521(b)(2), an IRS examiner or collection officer must suspend an interview when you state you wish to consult an authorized representative. Form 2848 puts a tax attorney between you and the IRS for the remainder of the matter.

Right to representation (California)

FTB Form 3520-PIT or 3520-BE appoints counsel before the Franchise Tax Board. CDTFA Form 392 covers sales-tax and alcoholic-beverage matters; EDD DE 48 covers payroll. Once on file, every notice routes to your attorney.

Right to Collection Due Process

A Notice of Federal Tax Lien (IRC §6320) or Final Notice of Intent to Levy (IRC §6330) opens a 30-day window to request a CDP hearing on Form 12153. A timely CDP request pauses federal collection and preserves Tax Court review.

Right to U.S. Tax Court review

A Notice of Deficiency triggers a 90-day petition window under IRC §6213(a). Santa Barbara County petitioners are typically calendared to Los Angeles, with sessions at the Edward R. Roybal Federal Building at 255 East Temple Street.

Right to combat-zone tolling (military)

Under IRC §7508, servicemembers serving in a combat zone receive automatic deadline extensions for filing, paying, and most IRS deadlines — including the 90-day Tax Court petition window. The extension runs the deployment period plus 180 days. The FTB recognizes a parallel extension under Cal. Rev. & Tax. Code §18570. Space Force Guardians at Vandenberg with overseas TDY assignments may qualify.

Right to disaster tolling (Thomas Fire / Montecito)

Under IRC §7508A, the IRS postponed federal deadlines for Santa Barbara County filers affected by the 2017–2018 Thomas Fire and the January 2018 Montecito debris flow. Casualty-loss deductions under IRC §165(h) can recover prior-year tax for federally declared disaster losses. The FTB issued parallel relief.

Right to a federal OIC

Under IRC §7122, the IRS may accept less than the full liability where doubt as to collectibility, doubt as to liability, or effective tax administration justifies settlement. Filed on Form 656 with Form 433-A(OIC) or 433-B(OIC).

Right to a California OIC

FTB compromise authority sits at Cal. Rev. & Tax. Code §19443. CDTFA runs a parallel offer program under §6832. EDD compromise sits at Cal. Unemp. Ins. Code §1735 and adjoining sections.

Right to a Collection Statute

IRC §6502 gives the IRS 10 years from assessment to collect. The California parallel under Cal. Rev. & Tax. Code §19255 runs 20 years — double the federal tail. Pull both transcripts before negotiating.

How Victory Tax Lawyers helps Santa Barbara County taxpayers

Federal & California Offer in Compromise

We file federal Form 656 with Form 433-A(OIC) under IRC §7122, and FTB Form 4905 PIT or BE with the parallel financial under Cal. Rev. & Tax. Code §19443. The two reviews run on different Reasonable Collection Potential math, and California treats Montecito, Hope Ranch, and Santa Ynez Valley real-estate equity tougher than the IRS does on the same facts.

Installment Agreements (IRS & FTB)

Streamlined IRS IAs under $50,000, Non-Streamlined IAs above with Form 433-F disclosure, and Partial Pay IAs under IRC §6159 running through the CSED. FTB parallel plans under Form 3567; CDTFA and EDD have their own structures.

Lien release and withdrawal

A federal NFTL under IRC §6321 and FTB State Tax Liens under Cal. Gov. Code §7170 attach to Santa Barbara County real property and are recorded with the Santa Barbara County Clerk-Recorder at the County Administration Building on East Anapamu Street. We pursue release after payment, certificate of discharge, subordination for refinance, and lien withdrawal under Fresh Start for IAs under $25,000.

Levy release (IRS, FTB, EDD)

Federal wage and bank levies under IRC §6331 stop with CNC, an accepted IA, OIC processing, or a timely CDP. FTB Earnings Withholding Orders under Cal. Rev. & Tax. Code §18670 and bank levies under §18670.5 release under analogous resolutions. Federal bank levies hold 21 days; FTB holds 10 business days.

Audit and exam defense

IRS correspondence, office, and field audits handled through the IRS Santa Barbara Taxpayer Assistance Center at 1332 Anacapa Street. FTB residency audits under Cal. Rev. & Tax. Code §17014. CDTFA sales-tax and alcoholic-beverage tax audits on Santa Ynez wineries, Lompoc tasting rooms, Santa Barbara restaurants, and Santa Maria food-processing operations. EDD AB 5 audits on farm-labor contractors, vineyard crews, and launch-industry subcontractor workforces.

Penalty abatement

Federal First-Time Penalty Abatement and reasonable-cause requests under IRC §6651. FTB waivers under Cal. Rev. & Tax. Code §19131 and §19132. Reasonable-cause for Santa Barbara County filers affected by the 2017–2018 Thomas Fire, the January 2018 Montecito debris flow, the 2016 Sherpa Fire, the 2025 Lake Fire near Los Olivos, and Space Force deployment under IRC §7508.

Twelve tax issues we handle for Santa Barbara County clients

Federal and California state practice areas framed for the matters that walk through the door from Santa Barbara, Goleta, Lompoc, Santa Maria, Carpinteria, the Santa Ynez Valley, and the Vandenberg launch corridor.

Space Force / military combat-zone exclusion

Active-duty Guardians, airmen, and contractor personnel deployed from Vandenberg Space Force Base to qualifying combat zones receive the pay exclusion under IRC §112. Officer pay excludes up to the highest enlisted pay rate plus imminent-danger pay. We reconstruct and amend returns where the exclusion was missed.

Military spouse residency (MSRRA)

The Military Spouses Residency Relief Act lets a Space Force or Air Force spouse keep the servicemember's state of legal residence even when physically present in California on PCS orders to Vandenberg. FTB adjustments to Vandenberg-spouse W-2 income are common and frequently reversible.

SCRA tax-collection protection

The Servicemembers Civil Relief Act caps interest at 6 percent on pre-service tax debts and stays civil collection actions during active duty. We file SCRA defenses on IRS and FTB collection matters for active-duty Vandenberg Guardians and airmen.

SpaceX / ULA contractor RSU & AMT

Launch-services engineers based at Vandenberg under SpaceX, United Launch Alliance, Northrop Grumman, and adjacent contractors carry stock-based compensation. RSU vests pile ordinary income onto W-2s; ISO exercises without sale trigger a preference item under IRC §55. We pursue AMT credit carryforwards under IRC §53, Disqualifying Dispositions, and structured IA payment.

Federal-employee tax debts

Civilian Department of Defense, Department of the Air Force, and Space Force civilians at Vandenberg with IRS balances risk federal-payroll offset and security-clearance scrutiny. We file accelerated IAs and reasonable-cause penalty abatement to protect both pay and clearance status.

Santa Ynez & Sta. Rita Hills winery taxation

Wineries in the Santa Ynez Valley, Happy Canyon, Ballard Canyon, Sta. Rita Hills, and the Santa Maria Valley AVA file Schedule F for grape production, Form 1120 or 1065 for the winery entity, and CDTFA Alcoholic Beverage Tax returns alongside federal TTB reporting. Inventory accounting under IRC §263A (UNICAP) on barreled wine is a recurring exam target.

Santa Maria Valley Schedule F farm returns

Santa Maria Valley broccoli, strawberry, lettuce, celery, and row-crop growers file Schedule F under federal rules and Form 540 for California. Crop-insurance income deferral under IRC §451(f), income averaging under IRC §1301, and depreciation on irrigation and cooling-shed infrastructure all require correct reporting.

Agricultural worker classification

Strawberry, lettuce, and broccoli growers using farm-labor contractors face EDD audits questioning whether the field workforce is truly engaged by the contractor or by the grower. The ABC test under Cal. Lab. Code §2775 controls; H-2A visa documentation, FLC licensing, and PIT withholding all factor into reclassification exposure.

Montecito & Hope Ranch estate planning

High-net-worth South Coast estates face federal estate tax under IRC §2001 above the unified credit, federal gift tax exposure on intra-family transfers, and California's Prop 19 parent-child reassessment trap on residences over the $1M (indexed) excluded value. Family-LLC restructurings and intentionally defective grantor trusts are common before any sale or transfer.

FTB departing-resident audits

Santa Barbara County residents who moved to Nevada, Texas, Florida, or Wyoming often trip the nine-factor domicile test under Cal. Rev. & Tax. Code §17014. Montecito, Hope Ranch, and Santa Ynez properties retained as "second homes" weigh heavily. We document driver's-license changes, voter registration, and physical-presence days.

Trust Fund Recovery Penalty

Under IRC §6672, the IRS reaches owners of Santa Barbara County LLCs and S-corps for unpaid payroll trust funds after Form 4180 interviews. EDD asserts the parallel state piece under Cal. Unemp. Ins. Code §1735.

U.S. Tax Court petitions

A 90-day petition in response to a Notice of Deficiency, designating Los Angeles as the place of trial. Sessions are held at the Edward R. Roybal Federal Building, 255 East Temple Street, Los Angeles — roughly a 100-mile drive south from the Santa Barbara County Courthouse on Anacapa Street.

Nine common causes of tax debt in Santa Barbara County

1. Missed combat-zone exclusion

A Space Force Guardian, airman, or Marine deployed from Vandenberg files using W-2 box-1 wages without removing the combat-zone exclusion under IRC §112. The result is an inflated assessment that an amended return can recover.

2. RSU vest underwithholding

SpaceX, ULA, and Northrop contractor engineers at Vandenberg get RSU vest withholding at the flat 22 percent supplemental rate. Employees in California's top brackets owe an additional 15 to 20 percent in April, and prior-year balances roll forward.

3. ISO exercise without sale

A launch-contractor scientist or director exercises Incentive Stock Options, holds the shares, and triggers AMT on the spread between exercise price and fair-market value — even though no cash changed hands.

4. Small-business payroll lapses

A Santa Barbara waterfront restaurant, Lompoc contractor, Carpinteria nursery, or Santa Maria packing house stops depositing Form 941 trust funds during a slow quarter. The IRS asserts TFRP under IRC §6672 against owners personally; EDD asserts the state side under Cal. Unemp. Ins. Code §1735.

5. Crop-cycle income spikes

A high-yield strawberry or broccoli season pushes a Santa Maria Valley grower into top federal and California brackets in a single year. Without income averaging under IRC §1301 or crop-insurance deferral planning under §451(f), the bill arrives in April with quarterly-estimate penalties stacked on top.

6. Thomas Fire & Montecito debris-flow gaps

Filers in the December 2017 Thomas Fire and January 9, 2018 Montecito mudslide zones missed deadlines and lost records. Disaster-zone postponement under IRC §7508A helped during the active relief period, but penalty stacks accumulated once windows lapsed and CP504 final notices arrived. Casualty-loss claims under IRC §165(h) can still recover prior-year federal tax in many cases.

7. Investment-property sales

Santa Barbara beachside, Montecito estate, Goleta condo, and Santa Ynez Valley ranch sales without a like-kind exchange under IRC §1031 trigger federal capital gains plus California's ordinary-income treatment at 13.3 percent.

8. ERC clawback exposure

Employee Retention Credit claims filed by promoter mills for Santa Maria packing operations, Santa Barbara hospitality, Lompoc service shops, and Santa Ynez tasting rooms are being clawed back through CP207 and CP207L letters.

9. FTB residency audit after move

Retired Vandenberg officers, hospitality founders, vineyard owners, and Montecito families relocating to Nevada or Texas often retain a South Coast home, a wine-country ranch, or family ties — all factors the FTB weighs to assert continuing California domicile under §17014.

Who is on the hook: eight Santa Barbara County liability scenarios

Joint filers (community-property state)

California is a community-property state under Cal. Fam. Code §760. Joint federal returns create joint-and-several liability under IRC §6013(d)(3). One spouse can be pursued for the entire balance — even post-divorce — subject to Innocent Spouse Relief under IRC §6015 and Cal. Rev. & Tax. Code §18533.

Space Force divorces and tax allocation

Santa Barbara County Superior Court at the Anacapa Division, 1100 Anacapa Street, hears military-family dissolutions out of Vandenberg Space Force Base. Allocation of joint federal liability, the Uniformed Services Former Spouses' Protection Act, and SCRA stays all bear on tax matters. We coordinate with family-law counsel.

Responsible persons for payroll

TFRP under IRC §6672 reaches anyone with check-signing authority who willfully failed to pay over withheld taxes. The California parallel sits at Cal. Unemp. Ins. Code §1735 for EDD payroll personal liability.

CDTFA dual-determinations

CDTFA can issue personal dual-determinations against corporate officers, directors, and LLC members for unremitted sales tax and alcoholic-beverage tax under Cal. Rev. & Tax. Code §6829 — common against winery and tasting-room operators in the Santa Ynez Valley and Sta. Rita Hills.

FTB suspended-entity exposure

A Santa Barbara County LLC suspended by FTB under Cal. Rev. & Tax. Code §23301 loses its right to contract or defend in California courts. Officers signing on behalf may incur personal exposure.

Transferee liability (Prop 19)

IRC §6901 reaches transferees where the transfer rendered the transferor insolvent and tax debt remains. Common with Prop 19 parent-child transfers of Montecito estates, Hope Ranch properties, Santa Ynez ranches, and family-LLC vineyard restructurings — especially where the post-2021 Prop 19 reassessment was not factored in.

Successor business liability

Asset purchases continuing a seller's Santa Barbara County operation can carry CDTFA successor liability under Cal. Rev. & Tax. Code §6811-6814 and EDD successor liability under Cal. Unemp. Ins. Code §1731. Common on winery acquisitions, restaurant turnover, and Santa Maria packing-house sales. Buyers protect with clearance letters before closing.

Estate and decedent returns

California has no state estate tax. The decedent's final 1040 and the estate's 1041 are the executor's responsibility, with personal liability under 31 USC §3713(b) for premature distributions. Santa Barbara County Superior Court probate jurisdiction governs the priority of state-tax claims — routine on Montecito and Hope Ranch estates above the federal unified credit.

What resolution can look like in Santa Barbara County

Debt reduced

An accepted federal OIC settles the IRS liability for less than the full amount. A parallel FTB §19443 compromise can settle the California side. Partial Pay IAs cap recovery at what you can pay through the federal CSED or the FTB 20-year statute. Currently Not Collectible status freezes federal collection while finances stabilize after deployment, ISO bills, or a slow harvest year.

Penalties abated

Federal First-Time Penalty Abatement removes failure-to-file and failure-to-pay penalties for a clean compliance year. Reasonable-cause requests address Space Force deployment, Thomas Fire and Montecito debris-flow disaster periods, serious illness, and preparer reliance. FTB waivers under §19131 and §19132 follow parallel principles.

Liens and levies released

A federal NFTL recorded with the Santa Barbara County Clerk-Recorder withdraws once a streamlined IA is in place under Fresh Start. FTB State Tax Liens release on payment, compromise, or release-for-cause. Wage and bank levies stop when the matter moves to CNC, IA, or OIC processing.

Outcomes vary. Past results do not guarantee future outcomes. Each tax case is unique.

Settlement ranges from the firm's case files

The following ranges come from Victory Tax Lawyers cases over the past several years and contribute to the firm's $100M+ aggregate tax-relief figure. Names and identifying facts are removed for confidentiality.

Matter type Original liability Resolution Approximate result
Installment Agreement $138,296 IRC §6159 streamlined IA $25/month accepted
Partial Pay IA $126,489 IRC §6159 PPIA through CSED $50/month accepted
Installment Agreement $128,206 IRC §6159 streamlined IA $25/month accepted
Partial Pay IA $116,451 IRC §6159 PPIA through CSED $50/month accepted
Installment Agreement $152,296 IRC §6159 streamlined IA $25/month accepted

Past results do not guarantee future outcomes. Each tax case is unique and turns on facts, asset position, monthly disposable income, IRS Allowable Living Expense tables, FTB equivalent standards, and the discretion of the assigned Revenue Officer, Settlement Officer, or FTB compromise reviewer. Acceptance rates for federal Offer in Compromise vary widely — the IRS reported a nationwide acceptance rate of roughly 30 to 40 percent in recent years.

Why work with a California-licensed firm on a Santa Barbara County tax matter

A Santa Barbara County tax matter rarely sits in a single forum. A federal RSU underwithholding bill at a SpaceX or ULA Vandenberg engineer triggers a parallel California assessment within four years through the federal-state information-exchange agreement. An EDD audit on a Santa Maria Valley farm-labor contractor often runs alongside an IRS Form 4180 interview for Trust Fund Recovery. An FTB residency audit on a Montecito family that relocated to Nevada usually pulls in property records from the Santa Barbara County Assessor on East Anapamu Street. A CDTFA alcoholic-beverage tax audit on a Sta. Rita Hills winery overlaps with TTB federal excise reporting. These matters do not stay in their lanes.

Victory Tax Lawyers is admitted in California, headquartered in Los Angeles, and built around this overlap. Parham Khorsandi (Cal Bar #266658) and Amir Boroumand (Cal Bar #269570) appear directly before the FTB, CDTFA, EDD, and OTA, and on the federal side before the IRS and the U.S. Tax Court. The same attorneys handle the whole engagement — no Form 2848 workaround, no referral chain through out-of-state counsel.

California Rule of Professional Conduct 7.1 governs lawyer advertising in the state. No superlatives without verifiable substantiation, no specific dollar guarantees, no testimonials without disclaimers. The firm operates under those rules natively. This page does not promise outcomes, does not promote dollar averages, and does not list testimonials without context.

If your case is purely federal — an IRS audit, a Tax Court petition with Los Angeles place of trial, an Offer in Compromise — we handle it under Tax Court bar admission, Circular 230, and a Form 2848 Power of Attorney. The California-licensed difference shows up when the state side appears, which it usually does.

The seven steps of a VTL tax-resolution engagement

1

Free consultation

A 30-minute call with an attorney to outline the facts, the IRS or FTB notices received, and realistic resolution options.

2

Engagement letter

A written attorney-client agreement defines scope, fee, and authority. California-bar privilege and federal common-law privilege both attach.

3

Federal & state PoA

Form 2848 filed with the IRS, FTB Form 3520, CDTFA Form 392, or EDD DE 48 filed with the relevant California agency. Notices route to counsel.

4

Transcript investigation

IRS Account Transcripts, Wage-and-Income Transcripts, and Record of Account pulled across all open years. FTB MyFTB, CDTFA, and EDD records pulled. Federal CSED and California 20-year statute dates verified.

5

Strategy memo

A written analysis recommending federal OIC, IA, CNC, audit response, CDP, or Tax Court petition with the FTB, CDTFA, or EDD parallel strategy where applicable.

6

Resolution filed

Federal Forms 656, 433-A, 9423, 12153, or Tax Court Petition. State FTB Form 4905, CDTFA offer, or EDD compromise. Negotiations with Revenue Officers, Settlement Officers, Appeals Officers, FTB analysts, CDTFA supervisors, and OTA hearings handled directly.

7

Compliance close-out

Post-resolution monitoring: quarterly estimates, return filings, and protection against IA default. The case is done when the new pattern is stable, not when the offer is accepted.

Collection statute warning — the California 20-year tail

Under IRC §6502(a), the IRS has ten years from the date of assessment to collect. After the federal Collection Statute Expiration Date, the debt becomes uncollectible by operation of law. Tolling events extend the federal CSED: a pending OIC (extends by OIC pendency plus 30 days), bankruptcy (extends by stay plus six months), Collection Due Process hearings, Innocent Spouse claims, and continuous absence from the United States for six months or more — including a Space Force or contractor TDY deployment under IRC §7508 plus six months.

The California side is the opposite of forgiving. Under Cal. Rev. & Tax. Code §19255, the FTB has 20 years from the latest of assessment, due date, or final return filing to collect. That is double the federal CSED. CDTFA collection runs 10 years under §6711 with similar tolling. EDD operates under its own collection window in the Unemployment Insurance Code.

A federal balance assessed in 2016 may approach CSED expiration in 2026, while the FTB equivalent continues to be collectible until 2036. Submitting a federal OIC restarts the federal clock. Sometimes a Partial Pay IA that runs out the federal statute is the better federal play, paired with a separate FTB compromise to address the longer state tail. The two strategies are decided together.

Santa Barbara County venue: federal and state tax forums

A Santa Barbara County tax matter may proceed in any of several federal or state forums depending on the type of liability. Below are the offices, courthouses, and agencies serving the county.

U.S. Tax Court — LA Roybal trial sessions

The United States Tax Court calendars Santa Barbara County petitioners to the Los Angeles trial city, with sessions at the Edward R. Roybal Federal Building, 255 East Temple Street, Los Angeles CA 90012. A Santa Barbara County petitioner designates "Los Angeles, California" as the place of trial on the petition under Tax Court Rule 140. San Francisco is the alternative for petitioners with Bay Area work or travel patterns.

IRS Santa Barbara Taxpayer Assistance Center

The IRS operates a TAC at 1332 Anacapa Street, Santa Barbara CA 93101 — the in-county option for most Santa Barbara County taxpayers. Appointments through apps.irs.gov/app/office-locator or 844-545-5640.

U.S. District Court (Central District of CA)

Federal refund suits and criminal-tax cases proceed in the U.S. District Court for the Central District of California, Western Division, headquartered at the Roybal Federal Building, 255 East Temple Street, Los Angeles. Appellate review goes to the Ninth Circuit in San Francisco.

Santa Barbara County Superior Court

State-tax civil collection actions and probate-tax matters proceed at the Santa Barbara County Superior Court Anacapa Division, 1100 Anacapa Street, Santa Barbara CA 93101 (the historic courthouse). The court also has divisions in Santa Maria, Lompoc, and Solvang, and hears the family-law matters out of Vandenberg Space Force Base that intersect with joint federal liability allocation.

Santa Barbara County Treasurer-Tax Collector

The Santa Barbara County Treasurer-Tax Collector handles property-tax billing and collection at 105 East Anapamu Street, Room 109, Santa Barbara CA 93101. Property-tax delinquencies on Montecito estates, Santa Ynez ranches, and Santa Maria packing operations proceed through this office.

Santa Barbara County Assessor

The Santa Barbara County Assessor at 105 East Anapamu Street, Room 109, Santa Barbara CA 93101 administers property valuation under Prop 13 and the post-2021 Prop 19 framework, including parent-child transfer exclusions on Montecito and Hope Ranch principal residences, agricultural land in the Santa Maria and Santa Ynez Valleys, and the Williamson Act ag-preserve valuations.

California FTB — Santa Barbara matters

The California Franchise Tax Board works Santa Barbara County residency audits, Notice of Action protests, and FTB compromise filings under Cal. Rev. & Tax. Code §19443 by mail, MyFTB portal, and the regional field-office network.

Cities & service area

Santa Barbara County contains eight incorporated cities: Santa Barbara (the county seat), Santa Maria (the largest by population), Lompoc, Goleta, Carpinteria, Buellton, Solvang, and Guadalupe. Unincorporated communities include Montecito, Hope Ranch, Summerland, Isla Vista, Mission Canyon, Orcutt, Los Olivos, Los Alamos, Cuyama, New Cuyama, Casmalia, Sisquoc, Tepusquet, Vandenberg Village, and Mission Hills. We represent clients across all of them.

Request a free consultation with a Santa Barbara County tax attorney

A 30-minute call with an attorney costs nothing. Bring your most recent IRS notice, last filed federal and California returns, any FTB or CDTFA or EDD correspondence, and — if you are active-duty Space Force or a contractor at Vandenberg — your deployment dates and LES. We will tell you which resolution options fit your facts on both sides before you sign anything.

Principal office: 1100 S. Robertson Boulevard, Los Angeles, CA 90035. Statewide California service including all 8 cities of Santa Barbara County.

Frequently asked questions — Santa Barbara County

Reviewed by

Parham Khorsandi, Esq.

Parham Khorsandi, Esq.

Managing Attorney · California Bar #266658 · Admitted to the United States Tax Court

Parham Khorsandi is the managing attorney of Victory Tax Lawyers, LLP, headquartered at 1100 S. Robertson Boulevard in Los Angeles. His practice covers federal and California tax controversy across the state, including Santa Barbara County matters: SCRA and combat-zone defenses for Vandenberg Space Force Base personnel, SpaceX and ULA contractor RSU and AMT work, Schedule F audit defense for Santa Maria Valley row-crop growers, Santa Ynez and Sta. Rita Hills winery UNICAP and CDTFA alcoholic-beverage tax matters, Montecito and Hope Ranch estate-planning and Prop 19 reassessment work, FTB residency audits following moves to Nevada and Texas, and U.S. Tax Court petitions designated to the Los Angeles trial city.

Last Reviewed:

Attorney Advertising. Victory Tax Lawyers, LLP is a California-licensed law firm with its principal office at 1100 S. Robertson Boulevard, Los Angeles, CA 90035. Information on this page is general in nature, may not reflect the most recent legal developments, and does not create an attorney-client relationship. This page is not legal advice. Federal and California tax outcomes depend on individual facts and the discretion of the Internal Revenue Service, the Franchise Tax Board, the California Department of Tax and Fee Administration, the Employment Development Department, or the relevant tribunal. Past results do not guarantee future outcomes; each tax matter is unique.

IRS Circular 230 Disclosure. To ensure compliance with requirements imposed by the IRS, any U.S. federal tax advice contained on this page is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties under the Internal Revenue Code or (ii) promoting, marketing, or recommending to another party any transaction or matter addressed herein.

Military and California-specific note. VTL attorneys are members of the State Bar of California in active standing. California state-tax matters (FTB, CDTFA, EDD, OTA) and federal IRS / U.S. Tax Court matters are handled directly by the firm. Combat-zone exclusion, SCRA, and MSRRA matters require documentation of duty status and state of legal residence. Consult a licensed attorney about your specific situation before acting on any content on this page. The State Bar of California Rule of Professional Conduct 7.1 requires that lawyer communications not be false or misleading; this page strives to comply and does not promise specific outcomes.

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