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The Journey of Solomon 513

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Washington Tax Lawyer

Williams Mullen's State and Local Tax Practice Group is staffed by experienced attorneys who have practiced extensively in the state and local tax area for many years. At Thorn Law Group our legal professionals represent a diverse range of clients, including individual taxpayers, small and mid-sized businesses, partnerships, professional athletes, banks, trusts and other entities located in the United States and abroad.
Kevin E. Thorn, the founding member and managing partner of the firm, has been featured in the Wall Street Journal special Capital Region's Premier Lawyers ” supplement as a leading attorney in the DC metro area handling international, civil and criminal tax law cases.



We address the full range of exemption-related issues affecting charities, including unrelated business income tax, fundraising and corporate sponsorship, state charitable solicitation regulation and co-marketing, compensation, self-dealing and intermediate sanctions, public disclosure requirements, and charitable governance best practices.
Kostelanetz & Fink LLP is pleased to announce that partner Caroline D. Ciraolo has been selected for inclusion on the 2020 Maryland Super Lawyers list as a Top Rated Tax Attorney in Baltimore, MD.” Ciraolo was previously included on the Maryland Super Lawyers list from 2009 to 2015 (Top Ten 2013-2015; Top 25 Women since 2009) prior to serving as the Acting Assistant Attorney General of the U.S. Department of Justice's Tax Division from 2015 to 2017.

Attorney Thorn's experience and knowledge is highly regarded in state and national legal communities and he has presented on domestic and international tax law developments before the Federal Bar Association, state bar associations and at numerous conferences throughout the United States and abroad.
Mr. Michel served as the Vice-Chair for Committee Operations of the American Bar Association Section of Taxation from 2016-2018, having previously served as a Section Council Director and as the Chair of the Section's Committees on Civil and Criminal Tax Penalties and the Standards of Tax Practice.
Lee Kelley , a former Deputy Tax Legislative Counsel at the U.S. Treasury Deputy Associate Chief Counsel (Corporate) at the IRS, led legislative and regulatory projects, including guidance that implemented codification of the economic substance doctrine.

Marshall is a frequent speaker on panels for the Taxation Sections of the District of Columbia Bar Association and American Bar Association, the Practising Attorneys Law Institute and the TEI-SJSU High Tech Tax Institute and has also presented at the New York University Annual Institute on Federal Taxation.
One of the biggest concerns of businesses touching many borders is the reporting requirements of the U.S., along with the threat of double taxation as well as compliance with U.S. tax laws relating to income, employment, transfer pricing and excise taxes.

Ciraolo's practice focuses on complex and sophisticated civil tax controversies, including representation in sensitive audits, administrative appeals, and litigation in federal and state courts and tax tribunals, providing related tax advice, including advice on uncertain tax positions, financial reporting, claims for refund, amended returns, voluntary disclosures, and internal investigations, and representing individuals and institutions in criminal tax investigations and prosecutions.
An ideal candidate will have experience as first or second chair at trial and other direct courtroom experience; comfort and familiarity working with clients and opponents on electronic discovery; and substantial experience taking depositions, drafting and responding to discovery, and working with fact and expert witnesses.

Through our practice in the taxation of financial products and investment funds, we regularly advise a diverse group of clients on tax issues raised by new financial transactions and products, including credit derivatives, structured debt, and hedging strategies.

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