About
Tom Kittle-Kamp represents corporate clients in high-dollar tax controversies involving novel federal income tax issues. He has litigated cases involving transfer pricing, international tax (including subpart F), subchapter C and subchapter K transactions, intellectual property and intangible asset development and transfer, and tax common law doctrines such as substance over form and economic substance.
Practice areas
Tax ControversyTransfer PricingInternational Tax
Office
Expertise
Federal income tax controversiesTransfer pricingInternational taxSubpart FSubchapter C and Subchapter K transactionsIntellectual property and intangible asset development, exploitation, and transferTax common law doctrines (substance over form, economic substance)
