- Posts by David B. TibbalsSenior Associate
David has experience serving corporate and individual clients in multiple states, assisting with a variety of transactional and controversy matters. He has worked with both publicly- and privately-held companies, particularly ...
Under IRC § 6330, a taxpayer is entitled to a “collection due process” (CDP) hearing before the IRS Appeals Office can take any enforced collection action.
Construction is one of the more unique and fascinating industries when it comes to state tax. When working with clients on either sales and use tax planning or controversy matters, the sales and use tax structure facing contractors frequently prompts a number of unanticipated challenges.
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