About Charles
Charles Rosselli is a New York attorney who practices tax law at the Tax Problem Law Center. He represents clients in matters involving federal and state taxation, drawing on an understanding of how tax disputes affect both individuals and businesses. His work often involves parsing complex tax notices, advising on options and next steps, and guiding clients through administrative and negotiation processes.
Rosselli approaches cases with attention to procedure and deadlines. He handles correspondence and filings intended to preserve client rights and to keep enforcement actions from escalating. His practice encompasses audits, collection issues and negotiations aimed at resolving outstanding liabilities. He also assists clients who seek alternatives to prolonged litigation, including structured settlements when appropriate.
He maintains current memberships in professional organizations that support continuing legal education and peer review. Those affiliations keep him connected to developments in tax law and to practitioners who handle related matters. He participates in programs that explain procedural changes and new administrative guidance to clients who need timely answers.
Clients who turn to Rosselli often face immediate deadlines or confusing notices. He takes a practical approach. First, he clarifies the notice or deficiency. Then he outlines pragmatic options that balance cost, timing and likely outcomes. He explains risks plainly and sets expectations about what administrative processes typically achieve.
Rosselli’s work spans personal and small-business tax issues. He meets with clients to gather records, to outline possible defenses, and to prepare the materials that regulators require. He also negotiates on behalf of clients when penalty abatements, offers in compromise, or installment agreements are viable. Where matters escalate, he coordinates with accountants and other advisers to present a consistent case.
The Tax Problem Law Center serves as his office base. From there he handles matters for taxpayers in New York, and he represents clients in administrative proceedings before the relevant tax authorities. He emphasizes clear communication and practical solutions rather than technical argumentation for its own sake.
Outside of client work he monitors changes in tax procedure and enforcement priorities. He attends briefings and training that focus on updates to federal and state tax administration. He currently focuses his practice on resolving tax controversies and advising taxpayers on options for addressing outstanding tax obligations.