Tax resolution practice in Nashville sits at the meeting point of federal IRS procedure and Tennessee state collections handled by the Tennessee Department of Revenue. Attorneys admitted to the Tennessee Bar and licensed under the Tennessee Supreme Court Rules represent taxpayers in matters running from Offer in Compromise (IRS Form 656) and installment agreement structuring (PPIA, SLIA, IA, and GPIA tiers) to Currently Not Collectible (CNC) status, lien withdrawals, levy releases, and Collection Due Process appeals. The Internal Revenue Manual and IRS Publication 594 set the procedural floor, and Tennessee Rules of Professional Conduct 7.1, 7.2, and 7.3 govern attorney communications with prospective clients. The three firms profiled below operate Nashville offices, list admitted attorneys, and disclose practice scope covering federal and state controversy work. None of the descriptions below constitute legal advice or a guarantee of outcome.
Quick Comparison #
| Firm | Lead Attorney | Practice Scope |
|---|---|---|
| Frazier Law | Charles R. Frazier | Federal tax controversy and OIC |
| The Law Office of Lance R. Drury | Lance R. Drury | IRS collections defense |
| DeWitt Law | Tyler H. DeWitt | Tax controversy with CPA pairing |
1. Frazier Law #
Frazier Law operates a Nashville office on Marriott Drive near the airport corridor and a second location in La Vergne. The firm was founded in 2009 by Charles R. Frazier, who carries a JD, a Master of Taxation, an LLM in Taxation, and additional financial planning designations, and who previously worked as an IRS Revenue Agent before entering private practice. The firm pairs attorney work with on-staff CPA Rick Miller, who supports tax strategy and return preparation that often precedes a resolution filing.
Resolution Practice #
Listed federal tax resolution work covers IRS Offers in Compromise under Form 656, installment agreement structuring across the PPIA, SLIA, IA, and GPIA tiers documented in the Internal Revenue Manual, and Currently Not Collectible petitions for taxpayers whose financial disclosure on Form 433-A or 433-F supports hardship designation. Penalty abatement requests citing reasonable cause under IRC Section 6651 round out the collections menu.
Tennessee Footprint #
The Nashville office on Marriott Drive at the John C. Tune corridor draws clients from Donelson, Hermitage, and the airport business district, while the La Vergne office covers Rutherford County. Tennessee Department of Revenue matters, including state sales and use tax controversies, sit alongside the federal practice.
Address: 555 Marriott Drive, Suite 356, Nashville, TN 37214
Phone: (615) 510-4000
2. The Law Office of Lance R. Drury #
The Law Office of Lance R. Drury maintains a Nashville office at 3100 West End Avenue in the Midtown corridor near Vanderbilt and serves Tennessee clients facing IRS collections action. Lance R. Drury leads the firm’s tax controversy practice, and the listed scope concentrates on collections defense rather than transactional planning, which sets a narrower focus than full-service tax boutiques.
Listed Resolution Work #
Practice areas published by the firm cover bank levies, federal tax liens, innocent spouse relief under IRC Section 6015, Offer in Compromise filings, penalty abatement, IRS investigations and appeals, installment agreement negotiation, and Currently Not Collectible petitions. The firm represents taxpayers at the IRS Office of Appeals when a Collection Due Process hearing is requested under IRC Section 6330.
Location Context #
The West End Avenue office sits inside the Midtown professional cluster, walking distance from Vanderbilt and a short drive from downtown courts and the federal building. The firm operates multi-state offices outside Tennessee as well, but the West End address is the licensed Nashville location.
Address: 3100 West End Avenue, Suite 875, Nashville, TN 37203
Phone: (615) 733-8168
3. DeWitt Law #
DeWitt Law operates from Overlook Boulevard at the Brentwood-Nashville line and represents Middle Tennessee clients in federal and state tax controversy matters. Managing attorney Tyler H. DeWitt holds both a JD and a CPA license, a dual credential that allows a single professional to handle return preparation, examination defense, and post-assessment resolution under one engagement. Clinton DeWitt also practices at the firm.
Controversy Scope #
The firm represents taxpayers in IRS Offer in Compromise filings, installment agreement negotiation, and audit defense, and handles Tennessee Department of Revenue sales and use tax controversies alongside federal matters. State and federal practice run in parallel rather than as siloed verticals, and the firm’s published case examples cover successor-liability sales tax matters and gas station criminal tax investigations among other scopes.
Dual-Credential Model #
The attorney-CPA pairing inside a single practitioner reduces the handoff between accounting and legal phases that often accompanies a tax matter. Engagement letters disclose which credential applies to which task, an allocation that matters for attorney-client privilege scope under federal common law and Tennessee evidence rules.
Address: 9005 Overlook Boulevard, Brentwood, TN 37027
Phone: (615) 994-0051
Selection Methodology #
The three firms above were selected from tax resolution practices serving the Nashville metro from a physical Davidson or Williamson County office, staffed by attorneys admitted to the Tennessee Bar and listed in the Board of Professional Responsibility directory at https://www.tbpr.org. Practice scope had to include federal IRS controversy work covering Offers in Compromise, installment agreements, and Currently Not Collectible petitions, with optional Tennessee Department of Revenue matters. Firms operating only as non-attorney tax resolution shops, out-of-state call centers without Tennessee-admitted counsel, or general practitioners listing tax as a peripheral area were excluded. The Internal Revenue Manual at https://www.irs.gov/irm and IRS Publication 594 at https://www.irs.gov/pub/irs-pdf/p594.pdf set the procedural reference frame used during scope review. Tennessee Rules of Professional Conduct 7.1, 7.2, and 7.3 set advertising-compliance constraints applied to listing language.
Frequently Asked Questions #
What is an IRS Offer in Compromise? #
An Offer in Compromise is a settlement filed on IRS Form 656 under IRC Section 7122 that allows a taxpayer to resolve liability for less than the assessed amount when doubt as to collectibility, doubt as to liability, or effective tax administration grounds apply. IRS Publication 594 and the Form 656 booklet describe eligibility and the financial disclosure on Form 433-A (OIC) or Form 433-B (OIC) that supports the filing.
Should I hire an attorney or an Enrolled Agent for IRS collections work? #
Both Tennessee-admitted attorneys and IRS Enrolled Agents can represent taxpayers before the IRS under Circular 230. Attorney engagement adds attorney-client privilege under federal common law for legal advice, which an Enrolled Agent engagement does not provide in the same scope. Cases involving potential criminal referral, Tax Court litigation under IRC Section 6213, or complex Tennessee Department of Revenue litigation generally warrant attorney representation.
How long does an Offer in Compromise take in Tennessee? #
IRS processing time for an accepted Offer in Compromise typically runs nine to twelve months from filing to acceptance, longer when the case is assigned to centralized review and longer still if a counter-offer or appeal is filed. The collection statute of limitations under IRC Section 6502 is suspended while the offer is pending plus thirty days, which extends the assessment life.
Does a Tennessee attorney handle state tax matters at the Tennessee Department of Revenue? #
Yes. Tennessee Department of Revenue collections, sales and use tax audits, franchise and excise tax controversies, and informal conference proceedings under Tennessee Code Annotated Title 67 are handled by Tennessee-admitted attorneys representing taxpayers, often alongside parallel federal IRS matters. The Department’s informal conference process precedes any chancery court appeal.
Editorial Note #
This guide was published on 2026-05-11 and reflects research current as of that date. Verify licenses, phone numbers, and current business status before engaging any firm.