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Eckert Seamans Adds Professional Liability Litigators From Several Pa. Firms
The partner-level lawyers focus on defense of health care professionals and institutions.Greenberg Traurig Opens 2 Long Island Offices as Clients Leave Manhattan
New locations in Garden City and Bridgehampton will service fund managers, media moguls, real estate investors, and other well-heeled clients who have moved their residences and businesses out of the city.Nonprofit Hospital Ordered to Pay Property Taxes: A Shot Across the Bow
The Tower Health decision has led local municipalities and school districts across the commonwealth to consider tendering property tax notices to nonprofit health care entities that have long been deemed exempt from such expenses.Greenberg Dominance, Latam Demand, and More Lateral Partner Trends in 2021
Find out who gained top talent and who lost rainmakers in our review of South Florida's biggest laterals this year.Finding Trump 'Wrong on the Law,' Judge Rejects Bid to Keep Tax Returns From Congress
"A long line of Supreme Court cases requires great deference to facially valid congressional inquiries. Even the special solicitude accorded former presidents does not alter the outcome," wrote U.S. District Judge Trevor McFadden.View more book results for the query "White"
Miller & Chevalier Draws Ex-DOJ Tax Litigator From Faegre Drinker
Rillotta joins from Faegre Drinker, where he has spent the last five and a half years as a partner.Steptoe Continues Buildout of Tax Litigation and Controversy Offering With Another Partner Addition
"Steptoe not only has a strong transactional business but also deep experience in corporate tax, international tax and partnership tax—and those areas are potential feeders for a controversy and litigation practice," said Steve Dixon.Pandora Papers Revelations Raise Specter of Reputational Risk for Baker McKenzie
The optics of being recognized as a leader in tax-avoidance are a mixed bag.Establishing a 'Cheek' Defense Through Expert Testimony
In 'Cheek v. United States,' the Supreme Court established the government's burden of proof to show that a defendant acted "willfully" in order to obtain a conviction on criminal tax charges. In this column Tax Litigation Issues, Jeremy H. Temkin analyzes recent circuit court decisions rejecting claims that defendants were improperly deprived of their ability to present a 'Cheek' defense through expert testimony.Corporate Transparency Act Resource Kit
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Revenue, Profit, Cash: Managing Law Firms for Success
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Law Firm Operational Considerations for the Corporate Transparency Act
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