Appeals
Victoria V. Johnson
Partner
(303) 892-7307
E-mail

Sybil R. Kisken
Of Counsel
(303) 892-7497
E-mail

Geoffrey  Klingsporn
Associate
(303) 892-7337
E-mail

Andrew M. Low
Partner
(303) 892-7327
E-mail

Kirk  Mueller
Of Counsel
(303) 892-7456
E-mail

Jonathan W. Rauchway
Partner
(303) 892-7216
E-mail

Shannon Wells Stevenson
Associate
(303) 892-7328
E-mail

Elizabeth  Titus
Associate
(303) 892-7406
E-mail

Rudy E. Verner
Associate
(303) 892-7212
E-mail

Andrea  Wang
Partner
(303) 892-7423
E-mail

Case Study:  Income Tax 

A successful entrepreneur retained us to appeal a ruling by the Tax Court disallowing the client’s use of millions of dollars of tax-loss carryforwards, which resulted from losses incurred by a partnership in which the client was a partner.  In a case of first impression, we demonstrated that the IRS had not followed the procedures required by statute to disallow partnership losses, and that the government accordingly had lost the right to challenge the deductions.  The federal court of appeals reversed the Tax Court’s ruling, and our client avoided having to pay millions of dollars in additional taxes.

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Income Tax
Homeowners Association
Statutory Limits on Damages
Inconsistent Jury Verdict
Scope of Arbitration
Overturning a Collusive Settlement
Special District
Personal Injury
Discrimination
Hostile Work Environment