Wyatt, Tarrant & Combs, LLP  
    September 9, 2010Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP

Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP

Taxation

Wyatt's Taxation Team has extensive experience in the areas of federal, state and local taxation. We handle litigation and planning matters for a wide variety of clients including publicly-traded and closely-held corporations, S corporations, partnerships, joint ventures, trusts, estates and tax-exempt organizations. These representations entail issues involving corporate and individual income tax (regular and AMT), corporate license tax, property tax, sales and use tax, severance tax, municipal occupational tax, special license and excise taxes, PSC property tax, and gasoline tax. A significant segment of our federal tax work is in the employee benefits area.

We have experience in handling tax controversies at the federal, state and local levels. Illustrative of that aspect of our practice is our work in the two largest tax cases in Kentucky history, one involving assessments of tax and penalties in excess of $300,000,000 and the other relating to the tax treatment of federal retiree pensions, a variety of unitary tax cases, and a challenge of the constitutionality of the state intangible tax.

Our tax practice also extends to such other areas as: (i) structuring acquisitions, dispositions, formations and dissolutions of corporations, limited liability companies and partnerships; (ii) issues unique to tax-exempt organizations, with particular emphasis in healthcare and civic organizations; (iii) participation in the drafting of state tax legislation relating to a variety of taxpayers and topics, including limited liability companies, banks, and certain sales and use tax exemptions; (iv) issues relating to both qualified and nonqualified deferred compensation arrangements; (v) bankruptcy tax issues; and (vi) issues relating to the maximization of tax incentives available to businesses in Kentucky, Indiana and Tennessee.

For assistance or further information, contact:


 
Louisville, KY E-mailTelephone
Thomas J. Lubertluber502-562-7214
Stephen E. Mercersmercer502-562-7560
Theodore T. Myre, Jr.tmyre502-562-7278
James A. Nitschejnitsche502-562-7309


Lexington, KY E-mailTelephone
Jason L. Leejllee859-288-7621


Nashville, TN E-mailTelephone
Parker W. Duncanpduncan615-251-6703
Edwin S. Pyleepyle615-251-6704


Memphis, TN E-mailTelephone
Jon W. Smithjsmith901-537-2168


Jackson, MS E-mailTelephone
James L. Pettis, IIIjpettis601-987-5327
 


Email Disclaimer

We welcome the receipt of e-mail. However, you should be aware that the act of sending e-mail to Wyatt, Tarrant & Combs, LLP or a specific attorney at the firm does not create an attorney-client relationship, and that you are not entitled to have us treat the information contained in an e-mail as confidential if no attorney-client relationship exists between us at the time that we receive that e-mail. An attorney-client relationship cannot be created until we consider potential conflicts of interest and agree to that relationship. If you are interested in establishing an attorney-client relationship, we invite you to call or visit with one of our attorneys for that purpose.
 
Wyatt, Tarrant & Combs, LLP
Wyatt, Tarrant & Combs, LLP
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© 2005 Wyatt, Tarrant & Combs, LLP | Last Updated on September 8, 2010