
For a Quarter Century,
Dedicated To Tax Resolutions
When facing a tax problem, there are only two potentially life-altering questions that need to be asked and answered:
- 1. What lies before you?
- 2. What are the possible consequences of the outcome?
Kundra & Associates has earned a reputation as a premier tax resolution and compliance law firm with a record of success for national and international clients. Whether you are an individual facing potential civil or criminal problems with the IRS, or are an international business or investor needing help with U.S. tax compliance, attorney Chaya Kundra is ready to put 25 years of experience to work.
- Business tax law, including corporate taxes and industry-related issues in the areas of entertainment and gambling, and sales and use taxes
- Personal tax liability, including issues related to divorce and innocent spouse relief
- International tax compliance, including FATCA and Foreign Qualified Tax Accounts (FATC) and criminal litigation related to international detection and enforcement
In-Depth Knowledge, Advocacy & Dedication
A Boutique Tax Law Firm
Washington, D.C., and Mumbai, India

Call Now.
Consider Your Tax Issue Handled.
A Recognized Tax Law Leader
Recent Blog Posts
Attorney Chaya Kundra Speaking at Two Upcoming Employment Tax Events
Tax attorney Chaya Kundra will co-chair and speaker at the following upcoming events on employment tax updates. Name of event: Employment Tax Update Date: February 10, 2023 Time: 3pm to 4pm Name of event: Employment Tax Issues & Opportunities Impacting M&A...
Jan 2023 Tax Updates By Tax Attorney Chaya Kundra
Supreme Court Hears Arguments on Alternative Attorney-Client Privilege Test. Oral arguments before US Supreme Court on 1/9/23 involving subpoenas of recorded communications comprised of both of tax and legal advice. In re Grand Jury, concerned unnamed law firm...
Dec 2022 Tax Updates By Tax Attorney Chaya Kundra
IRC 2056: Estate granted 120-day extension to make Sec. 2056(b)(7) QTIP election with respect to marital trust where taxpayer acted reasonably and in good faith and granting relief would not prejudice Gov.'s interests. (PLR 202249006) IRC 6330 (CDPH & no face to...