Dentons’ Tax Controversy team represents clients in all phases of civil and criminal tax controversy against the IRS. From audit through pre-trial investigation, to pleadings, discovery, motion practice and trial, we are always focusing on developing the strongest case to maximize our clients’ results.
As part of the world’s largest law firm, Dentons’ Tax Controversy practice offers multijurisdictional experience and relationships with local practitioners who are highly regarded in their jurisdictions. Beyond the US, we are active in Canada, Colombia, the UK, Spain, France, Luxembourg, Germany, Italy, Poland, Russia, Kazakhstan, China, Singapore and elsewhere (including the Africa region). This scope positions us to ably assist multinational companies facing high-dollar, cross-border tax disputes that involve numerous countries, tax regimes and dispute resolution procedures.
In multinational tax disputes, our tax lawyers have advised and assisted American and foreign companies seeking relief and using remedies under tax treaties. Because our team includes former high-ranking US government tax officials, we are very familiar with the internal dynamics and processes of US and foreign tax officials.
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