Former Senior Counsel, IRS Office of Chief Counsel. Lead Attorney, IRS Digital Asset Cadre. Litigation experience with conservation easements, microcaptive insurance arrangements, retirement account and structured financial arrangements. Collection expertise with bankruptcy tax issues, collection due process, liens and levies. Now representing taxpayers in federal tax disputes — from audit through litigation.
Full-spectrum representation at every stage of a federal tax dispute — from the first IRS examination notice through collection proceedings, administrative appeals, and litigation before the United States Tax Court. With more than 15 years inside the IRS, Miles Fuller brings an unmatched perspective on how the government builds and pursues its cases.
Representation through all phases of IRS examination — correspondence, office, and field audits. Strategic preparation of documentation, issue identification, and direct advocacy with revenue agents and their managers. Former IRS counsel perspective on how examiners develop and present cases.
Preparation and presentation of written protests to the IRS Independent Office of Appeals. Experienced in negotiating favorable settlements of examination adjustments and collection matters at the administrative level — without the cost and uncertainty of litigation.
Full representation in the United States Tax Court, including deficiency cases, collection due process hearings, innocent spouse cases, and penalty disputes. Former IRS trial attorney with significant courtroom experience and successes — over 20 cases tried and 6 precedent-setting opinions.
Strategic resolution of IRS collection matters including installment agreements, offers in compromise, currently not collectible status, levy and lien releases, and collection due process hearings. Extensive background handling complex collection matters with a deep understanding of how the IRS determines reasonable collection potential and ability to pay.
Preparation of first-time abatement requests and reasonable cause submissions under §6651, §6662, and related provisions. Written protests and appeals of penalty assessments. Former IRS counsel experience with how the Service evaluates and responds to abatement requests.
Ten years working on digital asset tax issues both within and outside of the IRS. Former Lead Attorney of the IRS Digital Asset Cadre with the deepest possible knowledge for taxpayers facing IRS scrutiny of their cryptocurrency or digital asset activity. Policy advocate and thought leader with the real-world litigation experience necessary to support taxpayers through digital asset matters.
Fifteen years inside the IRS Office of Chief Counsel means understanding exactly how the government builds its cases — and where the opportunities lie.
Having spent 15 years trying cases in Tax Court, representing the IRS in bankruptcy courts, and advising IRS examination and collection divisions, Miles Fuller knows precisely how IRS and Department of Justice attorneys, and revenue agents and officers approach cases — what they look for, what persuades them, and where cases can be won or settled.
Tax disputes are won and lost on documentation and legal analysis. Every response, protest, and Tax Court filing is built with the same rigor brought to government litigation — comprehensive, well-organized, and calibrated to the specific decision-maker at each stage.
As a solo practitioner, every client works directly with Miles Fuller throughout the engagement. The attorney who analyzed your case is the attorney who drafts your protest, appears at Appeals, and argues your case before the Tax Court — no hand-offs, no associates.
As the architect of the IRS's own digital asset examination methodology, Miles Fuller doesn't just understand crypto tax law — he helped write the playbook the IRS uses. That expertise is now deployed exclusively in service of taxpayers facing digital asset scrutiny.
Miles Fuller served as one IRS Counsel's leading experts on digital asset taxation — coordinating and training attorneys and technical experts that advised IRS field employees on cryptocurrency legal issues, examination techniques, tax computations, and examination development. He worked on various elements of guidance and policy issues, focusing on his understanding of distributed ledger technology to provide practical insights and approaches to tax issues. That knowledge now works for you.
Miles Fuller is a federal tax controversy attorney with more than 15 years of experience as a Senior Counsel in the IRS Office of Chief Counsel. During his tenure, he tried cases in United States Tax Court across a broad range of substantive and procedural tax issues. He also served as a Special Assistant United States Attorney in the Federal Districts of Colorado and New Mexico, representing the United States in bankruptcy courts with respect to tax claims.
Miles has advised on and litigated cases relating to conservation easements, microcaptive insurance arrangements, individual retirement accounts, economic substance, collection matters, civil fraud, and cryptocurrency. Miles played a key role in helping the IRS's civil examination function establish its digital asset enforcement program. After leaving IRS Counsel, Miles served as Sr. Director of Government Solutions at Taxbit, a leading digital asset tax compliance company, advising government agencies and industry on digital asset tax reporting and policy before founding his own practice. He has continued to work with the IRS and governments around the world to better understand how to investigate cryptocurrency matters, train individuals, and develop pragmatic tax policy.
Miles has been quoted in Bloomberg Tax, Bloomberg Law, Tax Notes, Fortune, Business Insider, CoinDesk, the Journal of Accountancy, and dozens of other outlets on digital asset and other complex tax matters. He has spoken at various bar association conferences and lectured on digital asset and other tax issues.
Miles earned his Juris Doctor, cum laude, and Master of Business Administration from Chapman University.
Selected Tax Court opinions from Miles Fuller's tenure as IRS Senior Counsel, spanning conservation easements, retirement accounts, collection due process, and complex financial arrangements.
Recognized as one of the foremost authorities on digital asset taxation — quoted by leading legal and financial press, and a featured speaker at major tax, government, and industry conferences worldwide.
Tax disputes are time-sensitive. IRS notices carry response deadlines, and the window to preserve your rights — particularly in digital asset matters — can close quickly. Contact the office to schedule an initial consultation.