USA Law and Practice Contributed by: Kim Marie Boylan, Nicholas Wilkins, Christina Culver and Kiara Williams, White & Case LLP
White & Case LLP is one of the largest global law firms, with 44 offices in 30 countries on six continents. White & Case LLP provides practi - cal, creative solutions to its clients’ most com - plex legal and regulatory problems. The firm’s global tax practice includes more than 90 tax lawyers and tax consultants, who work seam - lessly with colleagues across its global platform to deliver results. White & Case LLP partners with clients to achieve optimal tax efficiency,
risk reduction, and avoidance or resolution of tax controversies. The firm’s culture is defined by three core values: pioneering (innovation and growth), united (one firm with a shared pur - pose), and human (caring for each other and the world). These values shape White & Case LLP’s unique culture, guiding the team’s actions to fulfil commitments to clients and colleagues alike.
Authors
Kim Marie Boylan heads White & Case LLP’s tax controversy practice and was the head of the firm’s global tax practice for seven years. Kim serves on various committees at White &
Nicholas Wilkins is counsel in White & Case LLP’s tax group. Nick has worked on a variety of tax matters, including federal tax litigation, domestic tax disputes with the Internal Revenue
Case LLP and chairs the firm’s mandatory disclosure regime and DAC6 committee. She has a long track record of creating innovative, practical approaches for the successful resolution of tax disputes. A renowned tax litigator, Kim also effectively utilises the Internal Revenue Service’s administrative appeals procedures, fast-track settlement, mediation, and the mutual assistance procedures for treaty-based disputes. Under her leadership, the practice and group members have received numerous awards and prestigious rankings.
Service at the examination and appeals levels (including ADR such as fast-track settlement), tax-exempt organisation issues, and international tax issues. He also has extensive experience in transfer pricing, in both the advance pricing agreement and controversy contexts.
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