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Tax litigation for electric membership corporation concerning valuation
The firm served as lead counsel for an electric membership corporation in a lawsuit against the Georgia Department of Revenue concerning the more Featured
Tax-free spin-off for Equifax Inc. of payment services business
Represented Equifax Inc., one of the United States' largest credit reporting agencies, in all aspects of benefit plans and executive compensation more Featured
Filed U.S. Tax Court actions (4) on behalf of shareholders of C-corporation
Filed U.S. Tax Court actions (4) on behalf of shareholders of C-corporation.  IRS asserted qualified dividends from alleged benefits more
U.S. District Court action against IRS’ motion to compel tax attorney's files
Defended taxpayer in U.S. District Court against IRS’ motion to compel transactional tax attorney's notes and related files. IRS motion to compel more
U.S. Tax Court action regarding worthlessness of warrants
Represented hedge fund in connection with IRS challenge of losses taken for write-offs/losses for worthlessness of certain securities and other more
U.S. District Court action challenging IRS summons
Defended national insulation corporation in U.S. District Court against IRS summons enforcement for documents and information in possession of third more
U.S. Tax Court conservation easement action for national home-building business and owner
Represented large homebuilder against IRS challenge of multiple conservation easements and other charitable contributions under section 170. more
U.S. Tax Court action on behalf of hedge fund specializing in foreign exchange related investments
In a TEFRA proceeding, represented hedge fund in challenge by IRS on the economic substance of investments and allocation of partnership income and more
U.S. Tax Court action on behalf of corporate executive who received erroneous multiple Form 1099s
Represented corporate executive against IRS’ 'naked' assessment on duplicative Form 1099s under section 61. IRS conceded case before trial. Section more
U.S. Tax Court action on merger issue for insurance company
Represented company against IRS challenge of tax implications of alleged failed tax-deferred “A” merger under section 368, resulting a full more

*Experience gained by attorney prior to joining Kilpatrick Townsend

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