USA Trends and Developments Contributed by: Kim Marie Boylan, Kevin Spencer, Nicholas Wilkins and Sean Lyons, White & Case LLP
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
Sean Lyons is an associate in White & Case LLP’s tax controversy group. His practice focuses on representing taxpayers in proceedings before the Internal Revenue Service
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.
(IRS) at both the examination and appeals level, as well as in deficiency litigation before the US Tax Court and in refund litigation before the US district courts. Sean also routinely advises clients on international tax matters, with an emphasis on transfer pricing and tax treaty issues. He has represented multinational groups in negotiations between the IRS and foreign tax authorities for bilateral advance pricing agreements, and regarding requests for relief from double taxation pursuant to the mutual agreement procedures of bilateral income tax treaties.
White & Case LLP 701 13th Street NW # 600 Washington, DC 20005 USA Tel: +1 202 626 3600 Fax: +1 202 639 9355 Web: www.whitecase.com
387 CHAMBERS.COM
Powered by FlippingBook