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Moore & Bruce, LLP advises and represents clients in all
phases of U.S. civil and criminal tax compliance, both at the
administrative and judicial levels. This part of its
practice is post-transactional, beginning with an analysis
of completed events, advice as to proper income tax
reporting and representation in response to examinations or
investigations by the Internal Revenue Service or the
Department of Justice. We also advise as to whether tax
returns should be filed or amended, both for U.S. and non-U.S.
clients.
The Firm’s practice includes providing counsel to clients
with respect to money laundering, bank secrecy and other
“white-collar” compliance issues.
Moore & Bruce, LLP’s representation before the Internal
Revenue Service includes the Examination, Collection and
Criminal Investigation Divisions, the Office of Appeals, as
well as the Office of the Inspector General of the Treasury
Department. Representation before the Department of Justice
includes the Tax and Criminal Divisions and the offices of
the U.S. Attorneys throughout the country.
The Firm's tax compliance practice in U.S. courts includes the United
States Tax Court, the
District Courts, the Court of Federal Claims, the Federal Courts of
Appeal, and the United States Supreme Court.
Our litigation practice includes serving as sole or lead
counsel, or in providing outside expert litigation counsel
to in-house counsel or outside general counsel.
We attorneys also serve as expert witnesses, mediators and arbitrators
in tax compliance matters. We often render "second
opinions".
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