Weisberg Kainen Mark, PL

Weisberg Kainen Mark, PL Weisberg Kainen Mark is a Miami law firm comprised of a team of attorneys practicing in two specialized areas of law, tax law and criminal law.

Weisberg Kainen Mark is a Miami law firm comprised of a team of attorneys practicing in two specialized areas of law, tax law and criminal law, with a tireless commitment to providing clients with effective service. Ably handling charges ranging from tax evasion and mail fraud to grand theft, we bring a level of legal acumen that has garnered for us the support of the South Florida legal community. The attorneys at Weisberg and Kainen bring years of experience, education, and legal know-how to the practice of law in South Florida. Weisberg and Kainen combines two distinct areas of legal practice tax law and criminal law. Our tax practice is comprehensive, covering tax litigation, complex or problematic audits, and employment taxes. Our criminal practice is concerned with representing those charged with fraud, tax evasion, money laundering, and various other tax and white collar crimes.

10/05/2026

A target letter, proffer request, or “Queen for a Day” session can place a person at an important decision point in a federal investigation.

Before participating, a person should know three things: their status, the agreement’s terms, and the government’s likely goals.

Watch our video for an explanation of when these sessions may help and when they may create added risk.
https://wkm-law.com/video/how-do-target-letters-proffer-requests-and-queen-for-a-day-sessions-work-when-do-they-help-versus-hurt/
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IRS contact may come through the mail, through a representative, or through requests sent to a third party. The format c...
10/01/2026

IRS contact may come through the mail, through a representative, or through requests sent to a third party. The format can offer clues about the agency’s purpose, though it may not reveal the full scope.

“When the IRS Comes Knocking” explains how to approach these signals without panicking. Download your free copy today.
https://wkm-law.com/free-resource/
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The IRS can seek information from people and institutions surrounding a taxpayer. Accountants, banks, payroll providers,...
09/30/2026

The IRS can seek information from people and institutions surrounding a taxpayer. Accountants, banks, payroll providers, and bookkeepers may receive requests or summonses for records connected to an audit or investigation.

Third-party information can reveal transactions, communications, account access, and differences between tax returns and internal records.

Our blog post explains why taxpayers should pay attention when the IRS looks beyond information provided directly by them.

https://wkm-law.com/when-the-irs-comes-after-records-from-your-accountant-bank-or-bookkeeper/
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An ordinary business expense can still draw IRS scrutiny. Vehicle costs, travel, meals, home-office expenses, and paymen...
09/29/2026

An ordinary business expense can still draw IRS scrutiny. Vehicle costs, travel, meals, home-office expenses, and payments to relatives can receive extra attention when personal and business purposes overlap.

The central issue is usually the business reason for the expense and whether the reported treatment matches the actual activity.

Our newsletter shares practical insights for owners, accountants, and advisers who want a better view of tax disputes before a disagreement becomes expensive.
https://wkm-law.com/newsletter/
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IRS collection activity can place pressure on personal finances and business operations. A levy may reach a bank account...
09/28/2026

IRS collection activity can place pressure on personal finances and business operations. A levy may reach a bank account or income source, while a federal tax lien can create problems involving property, credit, and future transactions.

The available response depends on the tax period, collection history, financial condition, and notices already issued.

A professional assessment can help identify practical options before additional enforcement develops. Call WKM at 305-374-5544 to discuss an IRS collection concern.


https://wkm-law.com/contact/

Curiosity creates space for better choices. A person who admits what they haven't learned can listen closely and seek id...
09/25/2026

Curiosity creates space for better choices. A person who admits what they haven't learned can listen closely and seek ideas beyond familiar routines.
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An IRS dispute can escalate through missed deadlines, incomplete responses, and assumptions about what a notice requires...
09/24/2026

An IRS dispute can escalate through missed deadlines, incomplete responses, and assumptions about what a notice requires.

Our free resource, “Seven Steps to Resolve Your IRS Tax Dispute Before It Spirals Out of Control,” offers a practical starting point for taxpayers and business owners.
https://wkm-law.com/free-resource-2/
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The IRS may reclassify a business expense as personal when the business purpose appears unsupported or mixed with person...
09/23/2026

The IRS may reclassify a business expense as personal when the business purpose appears unsupported or mixed with personal use.

That change can increase taxable income, reduce deductions, and add interest or penalties. It may also expand an audit into related years or other categories of spending.

Our blog post examines why these disputes become costly and why the surrounding facts can be as important as the label used in the accounting system.
https://wkm-law.com/the-irs-says-your-business-expenses-were-personal-why-that-dispute-can-become-expensive/
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Offshore accounts can create U.S. reporting duties even when the funds were earned abroad, taxes were paid elsewhere, or...
09/22/2026

Offshore accounts can create U.S. reporting duties even when the funds were earned abroad, taxes were paid elsewhere, or the account was opened long before a person moved to the United States.

The source of the money, account value, ownership structure, and prior tax reporting can each influence the available compliance path.

Our newsletter provides education for international taxpayers, business owners, and CPAs dealing with cross-border tax concerns.
https://wkm-law.com/newsletter/
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09/21/2026

Administrative IRS activity and a criminal tax investigation follow different paths.

An administrative dispute may involve an audit, assessment, penalty, or collection action. A criminal investigation examines possible willful conduct and can involve agents, interviews, subpoenas, and evidence gathered from third parties.

The distinction influences three immediate concerns: who is contacting you, what information they seek, and how your response may be used.

Watch our video for a short explanation of these two processes.
https://wkm-law.com/video/whats-the-difference-between-an-administrative-irs-matter-and-a-criminal-tax-investigation/
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Address

100 SE 2nd Street, Suite 2222
Miami, FL
33131

Opening Hours

Monday 9am - 6pm
Tuesday 9am - 6pm
Wednesday 9am - 6pm
Thursday 9am - 6pm
Friday 9am - 6pm

Telephone

+13053745544

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