We regularly counsel our clients on the federal and state income tax consequences of transactions undertaken by our clients. We have considerable experience and expertise with respect to the tax aspects of mergers and acquisitions, the organization and operation of closely-held business enterprises including C corporations, S corporations, parternships, and limited liability companies, employee compensation matters, like-kind exchanges, creation and operation of tax-exempt entities, contingent worker and worker misclassification matters, and the settlement of all types of business and commercial disputes. In representing our clients in particular transactions, we, when appropriate, will seek and obtain private letter rulings from the Internal Revenue Service. We also provide advice with respect to state and local tax aspects of transactions engaged in by our clients.
In addition to the tax advice area of our practice, we represent clients in disputes with the Internal Revenue Service and local taxing authorities. We have considerable experience with all aspects of administrative practice before the Internal Revenue Service, and to the extent necessary, work with experienced attorneys in our Litigation Practice Group in tax disputes that are litigated in state, federal and United States tax courts.
For more information regarding the Taxation Practice Group, please contact Joseph R. Meives at 314-516-2629 or firstname.lastname@example.org.
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