Golding & Golding 
2033 Gateway Place
Suite 500
San Jose, CA 95110

Golding & Golding’s San Jose Tax Attorneys have been serving San Jose for more than 17+ years.

Our Practice is limited exclusively to International Tax Matters, including FATCA Letter Compliance, FBAR Penalties, and IRS Voluntary Disclosure (OVDP and Streamlined Programs).

San Jose Tax Attorney - International Tax Attorneys San Jose | Golding & Golding, A PLC

San Jose Tax Attorney – International Tax Attorneys San Jose | Golding & Golding, A PLC

Golding & Golding’s San Jose Tax Attorneys have worked closely with several Individuals and Businesses to develop tax strategies in accordance with Offshore Voluntary Disclosure procedures.

Who We Are

Golding & Golding, APLC: We are a team of International Tax Lawyers and Enrolled Agents. We focus our entire Tax Law Practice on

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What We Do

Offshore Disclosure: We safely bring Taxpayers from around the world into IRS Tax Compliance. We work together to evaluate and analyze your case, including assessing whether you are willful or non-willful, the pros and cons of entering OVDP, Streamlined, or Reasonable Cause, and whether you may have Form 8938, 3520, 5471, 8621, PFIC or other Requirements.

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Offshore Voluntary Disclosure Program (OVDP): Our International Tax Lawyers represent clients with IRS OVDP (Offshore Voluntary Disclosure Program) submissions. We diligently work to protect our clients, while developing cost-effective tax & penalty reduction strategies for Foreign Income, Assets, Real Estate and Investments worldwide.

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Streamlined Program

Streamlined Offshore Disclosure: If you are Non-Willful or have Reasonable Cause, you may be able to reduce or avoid Offshore Disclosure Penalties for FBAR or FATCA non-compliance. Our International Tax Lawyers evaluate the facts and circumstances of your case, including penalty reduction strategies, and work with you every step of the way!

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Reasonable Cause

IRS Reasonable Cause Statement: Depending on the facts and circumstances surrounding your nondisclosure, reasonable cause may be a viable alternative to either OVDP or the streamlined program. Reasonable cause is a fact specific submission, in which you request a penalty waiver in lieu of the OVDP or Streamlined Domestic Penalty.

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Flat-Fee, Full-Service

Our International Tax Attorneys represent hundreds of Taxpayers annually in over 50 different countries around the world in IRS Offshore Voluntary Disclosure. We have developed a unique Tax Law Firm that is devoted entirely to representing clients in IRS Offshore Voluntary Disclosure. We work with you every step of the way!

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