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Tax Attorney in Tulare County

Federal IRS and California state tax representation for dairy operators, citrus growers, walnut and grape producers, packing-shed owners, family-business operators, Sequoia-tourism hosts, and Tulare County families across Visalia, Tulare, Porterville, Dinuba, Lindsay, Exeter, Farmersville, Woodlake, and the foothill country approaching Sequoia and Kings Canyon. Victory Tax Lawyers is California-licensed and represents Tulare County clients directly before the IRS, the Franchise Tax Board, CDTFA, EDD, and the U.S. Tax Court. No referral, no out-of-state coordination.

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

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Jurisdiction: Tulare County · California statewide · federal IRS in all 50 states · U.S. Tax Court nationwide Free consultation: (800) 883-8301 Last Reviewed:

Tulare County taxpayers facing IRS or FTB collection — what changed in 2026

Three things matter for South Valley filers this cycle. First, the IRS is examining 2022-2024 dairy returns with a focus on IRC §451 deferred-payment milk contracts, IRC §1245 depreciation recapture on culled dairy cows, and IRC §263A UNICAP for raised-replacement heifers — areas where Tulare County operators, who run the second-largest milk-producing county in California behind Merced, have heavy exposure. Second, USDA disaster declarations covering 2022-2024 drought, 2023 atmospheric-river flooding through the Tule River and Kaweah systems, and the 2023 freeze that damaged citrus across the Lindsay and Exeter belt triggered crop-insurance proceeds, ELRP livestock-feed payments, and Schedule F basis questions the IRS is now reviewing in 2026. Third, the Franchise Tax Board continues to pursue Central Valley residents who relocated to Texas, Idaho, or Nevada under the nine-factor domicile analysis at Cal. Rev. & Tax. Code §17014, and the IRS resumed full passport-revocation referrals under IRC §7345 for seriously delinquent debts above $62,000.

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Tax cases resolved

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

A California law firm serving Tulare County and the South San Joaquin Valley

Tulare County sits at the agricultural and dairy heart of California's South Valley. By value of agricultural production, it consistently ranks among the top three counties in the United States — second in California milk output, anchored by the dairies of the Pixley, Tipton, and Tulare belts; the citrus packing houses of Lindsay, Exeter, Orange Cove, and Strathmore; the table-grape vineyards out of Dinuba and Cutler; and the walnut and pistachio orchards across the eastern foothill country. The county is home to eight incorporated cities (Visalia, Tulare, Porterville, Dinuba, Lindsay, Exeter, Farmersville, and Woodlake), large Hispanic and Hmong communities with multigenerational farming roots, College of the Sequoias as the academic and workforce anchor, and the western gateway to Sequoia National Park and Kings Canyon National Park.

Tulare County's federal-tax footprint runs through Fresno because the U.S. Tax Court trial sessions, the U.S. District Court for the Eastern District of California, and the IRS Service Center all sit in downtown Fresno at the Robert E. Coyle Federal Building, 2500 Tulare Street. The IRS does maintain a Taxpayer Assistance Center inside Tulare County itself, at 5300 W Tulare Avenue in Visalia, for walk-in support by appointment. CP2000 underreporter notices, LT11 final notices of intent to levy, and CP504 notices of intent to seize state tax refunds flow through the Fresno Service Center but address mail to taxpayers at their Visalia, Tulare, Porterville, and Dinuba addresses.

Victory Tax Lawyers is a California-licensed tax-law firm headquartered at 1100 S. Robertson Boulevard in Los Angeles. Both attorneys are members of the State Bar of California in active standing: Parham Khorsandi, Cal Bar #266658, and Amir Boroumand, Cal Bar #269570. Both are admitted to practice before the United States Tax Court.

California is our home jurisdiction. That matters in Tulare County, where a single matter often touches the IRS (dairy Schedule F, federal payroll trust funds on milking parlors and packing crews, USDA payment income), the FTB (state income tax, residency for departing dairy families with operations in multiple states, Sequoia-area short-term rental income), CDTFA (sales tax on dairy equipment, agricultural-equipment dealerships, and on Sequoia-tourism retail in Three Rivers), EDD (worker classification for milkers, dairy hands, citrus packing crews, and harvest contractors), and California Superior Court (property-tax disputes on dairy ground and orchard parcels, divorce-tax issues, probate-tax on multigenerational dairy and citrus transitions). The county's dairy-and-citrus economy generates federal-tax issues that do not show up the same way in coastal counties or even in counties that emphasize row crops over livestock.

If you have a federal tax problem, a California tax problem, or both, and you live or run an operation in Tulare County, this is the page for you. The rest of it lays out who collects, where matters get heard, and what resolution actually looks like in this county.

Your tax rights as a Tulare County taxpayer

Federal taxpayer rights are codified across the Internal Revenue Code and summarized in IRS Publication 1, the Taxpayer Bill of Rights. California layers its own taxpayer-rights regime through the FTB Taxpayer Bill of Rights at Cal. Rev. & Tax. Code Part 10.7 and parallel provisions for CDTFA and EDD. The rights you can invoke from anywhere in Tulare County — whether from a dairy office in Pixley or a citrus shed in Lindsay:

Right to representation (federal)

Under IRC §7521(b)(2), an IRS examiner or collection officer must suspend an interview if you state you wish to consult an authorized representative. A signed Form 2848 places counsel between you and the IRS for the remainder of the matter — whether you live in Visalia, Porterville, or out on a dairy east of Tipton.

Right to representation (California)

FTB Form 3520-PIT (or 3520-BE for entities) appoints a representative with full authority before the Franchise Tax Board. CDTFA Form 392 and EDD DE 48 do the same for sales-tax and payroll-tax matters. Once filed, all notices route to counsel.

Right to Collection Due Process

After a Notice of Federal Tax Lien (IRC §6320) or a Final Notice of Intent to Levy (IRC §6330), you have 30 days to request a CDP hearing on Form 12153. CDP requests pause federal collection enforcement and preserve U.S. Tax Court review.

Right to OTA appeal

Effective 2018 under AB 102, the California Office of Tax Appeals hears appeals from FTB, CDTFA, and EDD determinations. The appeal window is 30 days from the Notice of Action for FTB matters. OTA holds hearings in Los Angeles, Sacramento, and Fresno — the Fresno hearing site about 45 minutes north on Highway 99 is the closest OTA location for Tulare County appellants.

Right to U.S. Tax Court review

A Notice of Deficiency triggers a 90-day petition window under IRC §6213(a). Tulare County petitioners designate Fresno as the place of trial — the U.S. Tax Court holds trial sessions at the Robert E. Coyle Federal Building, 2500 Tulare Street, Fresno. Filing in Tax Court means you litigate without paying the deficiency first.

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 has compromise authority under Cal. Rev. & Tax. Code §19443. CDTFA operates a parallel offer program. EDD compromise authority sits at Cal. Unemp. Ins. Code §1192. Each program has its own form, financial disclosure standard, and review path.

Right to a Collection Statute

IRC §6502 gives the IRS 10 years from assessment to collect. California's parallel period under Cal. Rev. & Tax. Code §19255 is 20 years — double the federal CSED. Pull both transcripts before negotiating anything.

How Victory Tax Lawyers helps Tulare County taxpayers

Federal & California Offer in Compromise

We prepare and file federal Form 656 with the supporting Form 433-A(OIC) under IRC §7122, and FTB Form 4905 PIT or BE with the parallel financial under Cal. Rev. & Tax. Code §19443. For a Tulare County dairy operator with a 1,200-cow herd, freestall barns, and 400 acres of forage ground, the federal and state Reasonable Collection Potential math diverges quickly — California pulls South Valley dairy comparables that differ from how the IRS values livestock and dairy infrastructure in revenue officer worksheets, and equity in milking parlors, manure-handling systems, and herd value gets treated differently on each side.

Installment Agreements (IRS & FTB)

Streamlined IRS IAs under $50,000, Non-Streamlined IAs over $50,000 with Form 433-F disclosure, and Partial Pay Installment Agreements under IRC §6159 that run only through the CSED. For dairy clients, the IA negotiation often turns on the milk-check cycle and feed-cost volatility — a fixed monthly payment that ignores Federal Milk Marketing Order Class III price swings defaults faster than it should. For citrus and tree-fruit operators, the harvest revenue clusters in a few months. FTB offers parallel monthly-payment plans under FTB Form 3567 that can be structured to match the operating year.

Lien release and withdrawal

A federal Notice of Federal Tax Lien under IRC §6321 and an FTB State Tax Lien under Cal. Gov. Code §7170 both attach to California real and personal property — recorded against Tulare County parcels through the County Clerk-Recorder's office in Visalia. We pursue release after payment, certificate of discharge for specific property (often needed for a dairy or orchard sale or refinance through a Farm Credit West loan), subordination for refinancing, and lien withdrawal under Fresh Start for IAs under $25,000.

Levy release (IRS, FTB, EDD)

Federal wage levies (CP90 / LT11) and bank levies under IRC §6331 stop with CNC, an accepted IA, an accepted OIC, or a CDP request. FTB Earnings Withholding Orders for Taxes under Cal. Rev. & Tax. Code §18670 and bank levies under §18670.5 release under analogous resolutions. Federal bank levies hold for 21 days; FTB bank levies hold for 10 business days — the clock matters when the levy hits an operating-loan account at an ag lender on a Friday before a Tipton dairy payroll or a Lindsay packing-shed payroll cycle.

Audit and exam defense

Federal correspondence, office, and field audits — including Schedule F dairy and citrus examinations, USDA payment-income reconciliations, crop-insurance-proceed timing issues under IRC §451, and IRC §1245 depreciation-recapture exams on culled-cow sales. FTB residency audits under Cal. Rev. & Tax. Code §17014 (FTB Pub. 1031 nine-factor analysis), CDTFA sales-tax audits on dairy equipment and ag-supply dealers, and EDD worker-classification audits on milking crews, packing-shed contractors, and custom-harvesting operations.

Penalty abatement

Federal First-Time Penalty Abatement and reasonable-cause requests under IRC §6651. FTB penalty waivers under Cal. Rev. & Tax. Code §19131 (failure to file) and §19132 (failure to pay). Disaster reasonable-cause for filers covered by USDA-declared drought disasters, the 2023 Tule River and Kaweah flood declarations, and the 2023 citrus freeze events affecting Tulare County agricultural operations.

12 types of Tulare County tax issues we handle

Federal and California state practice areas, framed for the matters that actually walk in our door from the South San Joaquin Valley.

Dairy Schedule F examinations

Tulare County dairy operations — second-largest milk-producing county in California behind Merced — file Schedule F with milk-cooperative patronage dividends, Federal Milk Marketing Order Class III income, and feed and forage expenses on the cost side. The IRS examines cash-method versus accrual-method reporting, prepaid-feed deductions limited under IRC §464, and constructive-receipt timing on deferred milk-check contracts under IRC §451. We defend the schedule and the supporting books.

IRC §1245 culled-cow recapture

Dairy cows are depreciable property under MACRS five-year recovery. When a Tipton or Pixley operator sells culled cows to a beef packer, the gain up to the prior depreciation recaptures as ordinary income under IRC §1245 — not capital gain. Operators expecting capital-gain treatment on a herd reduction routinely face six-figure adjustments when the IRS examiner reconciles depreciation schedules against the culled-cow proceeds.

IRC §263A UNICAP for raised heifers

Replacement heifers raised from calf to freshening are subject to IRC §263A Uniform Capitalization rules, which require dairies above the gross-receipts threshold to capitalize feed, labor, and overhead into the basis of the raised heifer rather than expensing currently. Small-dairy elections and farming-syndicate rules at IRC §464 interact. Misapplication generates either over-deduction (audit risk) or under-deduction (basis lost on the heifer at first freshening).

USDA payment-income reconciliation

FSA program payments, Dairy Margin Coverage (DMC), Emergency Livestock Relief Program (ELRP) feed-cost payments, ARC-CO, PLC, CRP, NAP, and ad-hoc disaster aid (ERP, ECAP) generate 1099-G income that does not always match what landed in the bank. Misclassification between Schedule F income, capital-account adjustments, and basis recovery on conservation easement payments produces CP2000 notices.

Crop-insurance proceeds & deferral elections

A freeze-loss payout on Lindsay or Exeter citrus, a flood-loss payout from the 2023 Tule River breach, or an RMA crop-insurance settlement on Cutler grapes received in Year 1 can be deferred to Year 2 under IRC §451(f) if the farmer typically sells the crop in the year after harvest. The election is timing-sensitive and often missed. We reconstruct the election timeline on amended returns where the underlying facts support it.

IRC §1301 farmer income averaging

Dairy and citrus income swings hard year-to-year on Class III milk prices, feed costs, weather, and water allocations from the Friant Division of the Central Valley Project. IRC §1301 lets farmers elect to average current-year farm income against the prior three years on Schedule J, which can reduce a high-income year by several brackets. Missed elections and Schedule J reconstruction come up in audit defense and amended returns.

Dairy and citrus payroll trust funds

A Tipton dairy or a Lindsay citrus packer stops depositing Form 941 trust funds during a low milk-price quarter or a freeze-disrupted citrus season. The IRS asserts Trust Fund Recovery Penalty under IRC §6672 against the responsible person personally. EDD parallels under Cal. Unemp. Ins. Code §1735.

Packing-shed and labor-contractor classification

Farm labor contractors (FLCs) supplying crews to citrus packing sheds in Lindsay, Exeter, Strathmore, and Orange Cove, and to walnut hullers in the Visalia-Dinuba corridor, face EDD audits on whether crew members should run W-2 through the FLC or through the grower. AB 5 and the ABC test at Cal. Lab. Code §2775 reach H-2A and domestic crews alike. Reclassification carries UI, ETT, SDI, and PIT withholding plus penalties.

FTB residency audits (Texas / Idaho moves)

Tulare County residents who relocated to Texas, Idaho, Nevada, or Tennessee — common among dairy families exiting California for lower regulatory burdens — are textbook FTB residency-audit targets. The nine-factor domicile test under Cal. Rev. & Tax. Code §17014 and FTB Pub. 1031 weighs driver's-license, vehicle registration, voter registration, banking, family location, and physical-presence days.

Sequoia tourism short-term-rental income

Three Rivers cabins, Lemon Cove vacation properties, and foothill rentals serving Sequoia and Kings Canyon visitors generate Schedule E or Schedule C income depending on services provided. IRC §280A vacation-home rules limit losses; Tulare County also imposes a transient-occupancy tax on short-term stays. State-level Cal. Rev. & Tax. Code §17041 brackets apply to the net.

Hispanic and Hmong family-business succession

Multigenerational Tulare County family businesses — dairy operators, citrus growers, walnut huller-shellers, packing sheds, restaurants in Visalia and Dinuba — raise federal estate, gift, and basis-step-up questions on intergenerational transfers, plus California Prop 19 parent-to-child real-estate transfer issues on dairy ground and orchard parcels. Spanish-language and Hmong-translated documents complicate IRS document requests.

Wage and bank levies (federal & state)

IRS CP90 / LT11 levies, FTB Earnings Withholding Orders for Taxes (EWOT) under Cal. Rev. & Tax. Code §18670, CDTFA collector levies, and EDD wage garnishments hit operating accounts, milk-check deposit accounts, payroll runs, and personal accounts across the county. We move to release before the next milk-check cycle or harvest payroll run.

Nine common causes of tax debt in Tulare County

1. Class III milk-price collapse cycles

Federal Milk Marketing Order Class III prices swing on global cheese and butter markets. A Tipton or Pixley dairy budgeting against $20/cwt that suddenly faces $14/cwt watches working capital evaporate. Owners stop making quarterly estimates, then stop depositing Form 941 trust funds. By the time milk recovers, federal and state balances are six figures.

2. Schedule F prepaid-expense limits

Dairies and citrus operators prepay feed, fuel, fertilizer, and crop chemicals in Q4 to lock in pricing and accelerate deductions. IRC §464 limits the deduction to 50 percent of other deductible farm expenses for the year unless the qualified-farm-related-taxpayer exception applies. Disallowed prepayments resurface as audit adjustments and balances.

3. Culled-cow sales without basis tracking

A dairy that culls 25 percent of its herd in a single year following drought-driven feed costs hits an IRC §1245 recapture bill in the hundreds of thousands. Operators expecting capital-gain treatment instead recognize ordinary income up to prior depreciation, with no offsetting federal capital-loss treatment available.

4. Citrus freeze and flood disruption

The 2023 freeze through Lindsay, Exeter, and Strathmore disrupted navel orange and mandarin production. The 2023 Tule River and Kaweah floods damaged orchards and ground south of Visalia. Disaster-zone filing extensions help, but penalty stacks accumulate when extension windows lapse without action and crop-insurance proceeds compound the next year's reporting.

5. USDA payment misreporting

DMC, ELRP, FSA, RMA, and ad-hoc disaster payments flow through different 1099 reporting paths. Misclassifying them as Schedule F income when they are basis recovery on a conservation easement, or vice versa, generates balances that take amended returns and reasonable-cause penalty abatement to resolve.

6. Dairy and packing payroll lapses

A Pixley dairy or a Lindsay citrus packer stops depositing Form 941 trust funds during a slow quarter. The IRS asserts TFRP under IRC §6672 against the owner, and EDD assesses parallel state payroll under Cal. Unemp. Ins. Code §1735.

7. Out-of-state move and FTB pursuit

Dairy families who moved to Texas, Idaho, or South Dakota often trip the FTB nine-factor domicile test — especially when California dairy ground, milk-quota interests, or family ties remain behind. FTB asserts that California domicile continued for one to three additional tax years.

8. ERC clawback exposure

Employee Retention Credit claims pushed by promoter mills are being clawed back through CP207 and CP207L letters. Tulare County packing sheds, restaurants, dental practices, and agricultural-service businesses are part of the audit wave.

9. Short-term-rental classification errors

Three Rivers and Lemon Cove cabin owners serving Sequoia traffic frequently mis-classify income between Schedule E rental and Schedule C trade-or-business, which determines whether the rental is subject to self-employment tax and whether passive-activity losses under IRC §469 apply. IRC §280A vacation-home rules add another limit when personal-use days exceed thresholds.

Who is on the hook: eight Tulare County tax-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 after divorce filed in Tulare County Superior Court Family Division — subject to Innocent Spouse Relief under IRC §6015 and Cal. Rev. & Tax. Code §18533.

Responsible persons for dairy and packing payroll

Trust Fund Recovery Penalty under IRC §6672 reaches anyone who had check-signing authority and willfully failed to pay over withheld taxes. The state parallel sits at Cal. Unemp. Ins. Code §1735 for EDD payroll-tax personal liability. Common in dairy, citrus packing-shed, walnut huller, and farm-labor-contractor ownership across the county.

CDTFA dual-determinations

CDTFA can issue dual-determination notices personally against corporate officers, directors, and LLC members that fail to remit sales tax in trust, under Cal. Rev. & Tax. Code §6829. Restaurants, ag-equipment dealers, fuel resellers, and retail in Visalia, Tulare, Porterville, Dinuba, and the Sequoia gateway communities draw these.

FTB suspended-entity personal exposure

An entity that fails to pay California minimum franchise tax or file a Statement of Information is suspended under Cal. Rev. & Tax. Code §23301. The entity loses its right to contract, sue, or defend in California courts — and officers signing on its behalf may incur personal exposure. Common for Central Valley dairy LLCs and citrus packing entities that fall behind on $800 minimum franchise tax filings.

Transferee liability (federal & state)

IRC §6901 reaches a transferee of assets where the transfer rendered the transferor insolvent and tax debts remain unpaid. Family-LLC dairy and orchard restructurings, Prop 19 parent-to-child transfers of Tulare County agricultural real estate, and trust-funding moves that put dairy ground or citrus orchards into the next generation's name can trigger this.

Successor business liability

Asset purchases where the buyer continues the seller's California operations can carry forward CDTFA sales-tax successor liability under Cal. Rev. & Tax. Code §6811-6814 and EDD payroll successor liability under Cal. Unemp. Ins. Code §1731. Clearance letters protect buyers in dairy, citrus packing-shed, walnut huller, and Central Valley retail acquisitions.

Nominee and alter-ego

The IRS files a nominee or alter-ego lien when assets titled in another's name actually belong to the taxpayer. Common in Central Valley asset-protection structures using family-limited partnerships, irrevocable trusts, and out-of-state LLC layering — particularly when dairy ground or citrus orchards have been moved between related entities.

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. Personal liability for the executor attaches under 31 USC §3713(b) if distributions are made before federal tax claims are satisfied. California Probate Code §9000 governs state-tax claim priority in probate at Tulare County Superior Court — particularly important for multigenerational dairy and citrus transitions with IRC §2032A special-use valuation issues.

What resolution can look like in Tulare 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 a dairy or orchard operation stabilizes through a Class III milk-price trough or a citrus freeze-recovery cycle.

Penalties abated

Federal First-Time Penalty Abatement removes failure-to-file and failure-to-pay penalties for a clean compliance year. Reasonable-cause requests cover USDA-declared drought periods, the 2023 citrus freeze, atmospheric-river flooding through the Tule River and Kaweah systems, serious illness, and preparer reliance. FTB waivers under §19131 and §19132 follow parallel principles.

Liens and levies released

A federal NFTL recorded with the Tulare County Clerk-Recorder withdraws once a streamlined IA is in place under Fresh Start. FTB State Tax Liens release on payment, accepted compromise, or release-for-cause. Wage and bank levies stop when the underlying account moves to CNC, IA, or OIC processing on either side — critical before operating-loan renewal at the lender.

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 Tulare County tax matter

Tulare County tax matters sit in a particular spot. The federal venues sit at the Robert E. Coyle Federal Building in Fresno about 45 minutes north on Highway 99 — the U.S. Tax Court holds Central Valley trial sessions there, and the U.S. District Court for the Eastern District of California also sits there. The IRS Taxpayer Assistance Center inside the county at 5300 W Tulare Avenue in Visalia handles walk-in support. The California Office of Tax Appeals has one of its three statewide hearing sites in Fresno — alongside Los Angeles and Sacramento — which is the most convenient OTA location for FTB, CDTFA, and EDD appeals from Tulare County.

The dairy-and-citrus economic overlay produces federal-tax issues that coastal counties do not see at the same density: Schedule F dairy and tree-fruit examinations, IRC §1245 culled-cow recapture, IRC §263A UNICAP for raised replacement heifers, IRC §1301 income averaging, IRC §451(f) deferred crop-insurance elections on freeze and flood payouts, USDA payment-income reconciliation including Dairy Margin Coverage and ELRP, and IRC §464 prepaid-feed limits. On the California side, FTB residency audits for departing dairy families heading to Texas or Idaho, CDTFA sales-tax issues on dairy equipment and walnut-huller machinery, and EDD AB 5 audits on milking crews, citrus packing crews, and walnut-processing labor. The matters do not stay in their lanes.

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

Geography matters. The Robertson Boulevard office is about three and a half hours south of Visalia on Interstate 5 / Highway 99. Most engagements run by phone, secure document portal, and email, with Form 2848 federal PoA and FTB Form 3520 PIT so every IRS or FTB notice routes to counsel. In-person meetings happen by appointment when that is what a client prefers. Spanish-speaking client service is available; Hmong-language clients are accommodated through certified translators on document review.

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 attorney-client privilege both attach.

3

Federal & state PoA

Form 2848 filed with the IRS, FTB Form 3520 PIT or BE, CDTFA Form 392, or EDD DE 48 filed with the relevant California agency. All notices route to counsel — including for clients in remote areas like Allensworth, Earlimart, Pixley, Tipton, and the unincorporated foothill country.

4

Transcript investigation

IRS Account Transcripts, Wage-and-Income Transcripts, and Record of Account pulled across all open years. FTB MyFTB account, CDTFA records, 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. For dairy and citrus clients, we model IRC §1301 income averaging and IRC §451(f) deferral elections as part of the path.

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 on either side. The case closes 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 generally has ten years from the date of assessment to collect a tax. After the federal Collection Statute Expiration Date, the debt becomes uncollectible by operation of law. Tolling events that extend the federal CSED include a pending Offer in Compromise (extends by OIC pendency plus 30 days), bankruptcy filing (extends by bankruptcy stay plus six months), Collection Due Process hearings, Innocent Spouse claims, and continuous absence from the United States for six months or more.

The California side is the opposite of forgiving. Under Cal. Rev. & Tax. Code §19255, the FTB has 20 years from the latest of the assessment, the date the liability becomes due and payable, or the date a final return was filed, to collect. That is double the federal CSED. CDTFA collection statutes for sales-and-use tax are governed by Cal. Rev. & Tax. Code §6711, generally 10 years from determination but with similar tolling. EDD has its own collection window under Cal. Unemp. Ins. Code §1701.

For a Tulare County dairy family that moved to Texas or Idaho thinking the California debt expires with the move — it does not. A federal balance assessed in 2016 may be approaching CSED expiration in 2026, while the FTB equivalent remains collectible until 2036. Submitting a federal OIC restarts part of 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, not in isolation.

Tulare County venue: where matters are heard

Federal tax matters affecting Tulare County taxpayers proceed in federal venues, most of which sit just over the county line in Fresno at the Robert E. Coyle Federal Building. The IRS does maintain a Taxpayer Assistance Center inside the county itself in Visalia. State matters at the FTB, CDTFA, and EDD that reach formal appeal proceed through the California Office of Tax Appeals, with the closest hearing location in Fresno alongside Los Angeles and Sacramento. County-administered property tax and local recording happen at the County offices in downtown Visalia.

U.S. Tax Court — Fresno trial sessions

The United States Tax Court holds Central Valley trial sessions at the Robert E. Coyle Federal Building, 2500 Tulare Street, Fresno. Tulare County petitioners designate Fresno as the preferred place of trial under Tax Court Rule 140 — about 45 minutes north of Visalia on Highway 99. Most cases settle before trial through IRS Office of Chief Counsel negotiations.

IRS Taxpayer Assistance Center — Visalia

The IRS operates a TAC inside Tulare County at 5300 W Tulare Avenue, Visalia, CA 93277. Appointments through apps.irs.gov/app/office-locator or 844-545-5640. TAC services include payment processing, transcript pickup, and identity-verification appointments. For controversy work, counsel-led communication with Revenue Officers and Settlement Officers is the better channel than walking into the TAC.

Tulare County Superior Court

Tulare County Superior Court's primary civil filing location is the County Civic Center Courthouse at 221 S Mooney Boulevard, Visalia, CA 93291. The Court hears divorce-related tax-allocation disputes, probate-tax priority (relevant on multigenerational dairy and citrus transitions and IRC §2032A special-use valuation), property-tax assessment appeals on writ review, and state-tax collection litigation. Branch courthouses in Porterville, Dinuba, and the Juvenile Center handle additional local matters.

Tulare County Treasurer-Tax Collector

The Tulare County Treasurer-Tax Collector at 221 S Mooney Boulevard, Visalia, CA 93291 collects secured and unsecured property taxes under Cal. Rev. & Tax. Code Division 1. Property-tax disputes that touch federal-tax matters — a Prop 19 transfer triggering a federal gift-tax issue, an NFTL crossing a delinquent secured roll on dairy ground or orchard parcels — coordinate here.

Tulare County Assessor

The Tulare County Assessor / Clerk-Recorder at 221 S Mooney Boulevard, Visalia, CA 93291 handles property valuation under Prop 13, Prop 8, and Prop 19 — including the Williamson Act agricultural-preserve contracts that apply to large portions of the county's working dairy ground and orchard land. Federal NFTLs and FTB State Tax Liens against Tulare County parcels are recorded in the County Clerk-Recorder's index. Assessment-appeal filings to the Assessment Appeals Board route through the Clerk of the Board.

U.S. District Court — Eastern District of California, Fresno Division

Tulare County sits in the Eastern District of California, Fresno Division. The Fresno Division courthouse is in the Robert E. Coyle Federal Building, 2500 Tulare Street, Fresno, CA 93721. Federal refund suits under IRC §7422, federal-tax-lien priority disputes, and criminal-tax cases involving Tulare County defendants proceed here. Appellate review goes to the Ninth Circuit.

California Office of Tax Appeals — Fresno

The California Office of Tax Appeals hears appeals from FTB, CDTFA, and EDD determinations. Three-judge panels of Administrative Law Judges. Fresno is one of three OTA hearing sites statewide, alongside Los Angeles and Sacramento — the closest OTA venue for Tulare County appellants. Decisions are precedential and published.

Major cities served across the county

Visalia (county seat), Tulare, Porterville, Dinuba, Lindsay, Exeter, Farmersville, and Woodlake — plus unincorporated communities including Three Rivers, Lemon Cove, Strathmore, Tipton, Pixley, Earlimart, Allensworth, Cutler, Orosi, Goshen, Ivanhoe, Springville, and rural dairy, citrus, walnut, and ranching ground throughout the western flats and the eastern Sierra foothill country.

Request a free consultation with a Tulare County tax attorney

A 30-minute call with an attorney costs nothing. Bring your most recent IRS notice, your last filed federal and California returns (including Schedule F if you operate a dairy, citrus orchard, walnut huller, or grape vineyard), any FSA, DMC, or ELRP payment summaries, any FTB, CDTFA, EDD, or Tulare County Treasurer-Tax Collector correspondence, and your most recent Form 1099-PATR from milk cooperatives or citrus cooperatives if applicable. We will tell you which resolution options actually fit your facts — on both the federal and California sides — before you sign anything.

Office: 1100 S. Robertson Boulevard, Los Angeles, CA 90035. By appointment for in-person meetings. Phone, email, and secure-portal service throughout Tulare County — from Visalia to Porterville, Lindsay to Pixley, Three Rivers to Earlimart, and across the South San Joaquin Valley.

Frequently asked questions for Tulare County taxpayers

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 focuses on federal and California tax controversy, including Offer in Compromise negotiations before the IRS and FTB, Installment Agreements, Trust Fund Recovery Penalty defense, FTB residency audits, CDTFA sales-tax representation, EDD worker-classification audits, Schedule F dairy and citrus examinations, USDA payment-income reconciliation, IRC §1245 culled-cow recapture defense, IRC §263A UNICAP planning, IRC §1301 income averaging and Schedule J planning, audit defense before the IRS Examination function, OTA appeals, and litigation before the U.S. Tax Court. He has represented Tulare County individuals, dairy operations, citrus packers, and family businesses across Visalia, Tulare, Porterville, Dinuba, Lindsay, Exeter, Farmersville, Woodlake, and venues throughout the South San Joaquin Valley.

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.

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. 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 with that rule and does not promise specific outcomes.

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