Home > California Lawyers > Walnut-Creek, CA Lawyers > Matthew David Carlson at Wagner Kirkman Blaine Klomparens & Youmans LLP

Matthew David Carlson, Associate Attorney
Federal Taxation, Tax Litigation, State Taxation
Phone:(916) 920 – 5286
Web:www.wkblaw.com
Address: 1350 Treat Boulevard, Suite 400, Walnut Creek, CA 94597
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Law Firm:Wagner Kirkman Blaine Klomparens & Youmans LLP
Lawyer:Matthew David Carlson
Phone:(916) 920 – 5286
Fax:(916) 920-8608
Lawyer Title:Associate
Practice Areas:Federal Taxation, Tax Litigation, State Taxation
Bio:Representative Cases: Reyes v. State of California, Case No. 2015-185560, May 26, 2016 (defeated California Franchise Tax Board Anti-SLAPP motion to strike regarding Rev. & Tax. Code § 21021 damages complaint in a matter of first impression). Mountanos v. Commissioner, T.C. Memo. 2014-38 (I.R.C. § 6662(h) gross valuation misstatement penalty). Simpson v. Commissioner, 141 T.C. No. 10 (precedential opinion concerning taxation of settlement proceeds). Shaw v. Commissioner, T.C. Memo. 2013-170 (debt-equity characterization). Mountanos v. Commissioner, T.C. Memo. 2013-138 (conservation easement deduction valuation and substantiation requirements). | | My legal practice is devoted substantially to tax law, including business transactions, trusts and estates, and real estate matters involving complex tax issues. I also specialize in tax controversy, routinely representing business and individual clients before federal, state, and local tax authorities as well as handling all aspects of tax litigation, including law and motion, trials, and appellate practice at the state and federal levels.
Admitted:2008, Admitted to The State Bar of California;
College:Sonoma State University, Class of 2002, B.S.
Law School:University of the Pacific, Class of 2008, J.D., With Distinction
Membership:
Web:www.wkblaw.com
Languages:English

Lawyer Matthew David Carlson, graduated from Sonoma State University, Class of 2002, B.S. University of the Pacific, Class of 2008, J.D., With Distinction, is now employed by Wagner Kirkman Blaine Klomparens & Youmans LLP at 1350 Treat Boulevard, Suite 400 Walnut Creek, CA 94597.Matthew David Carlson is one of the more than one million lawyers in United States. Before choosing Matthew David Carlson as your lawyer, you should consider whether Matthew David Carlson offers free consultation, (if not) how much the initial interview costs, if there is any hidden attorney fees, what's the fee schedule, whether he or she has good community reputation and is able to provide a list of good references. You can also contact the Board of Professional Responsibility of the state bar, to find out if Matthew David Carlson has ever been placed under any disciplinary actions. Please be aware that, though Matthew David Carlson's office is located at Walnut Creek, CA, he or she might belong to the bar association of other states.

You should also ask how long the lawyer has been in practice, how much experience he or she has in cases like yours, and more importantly, the outcomes of those cases! Focus of the lawyer's practice and years of experience are also very important factors in your evaluation process. The more focused the lawyer's practice areas, the better service he or she could provide. So do not make decisions solely on one or two factors. Only hire lawyers you feel comfortable with as they will represent you and your interests, and you will be sharing private details about your life with them.

Matthew David Carlson has been admitted in 2008, Admitted to The State Bar of California;. His or her practice areas include Federal Taxation, Tax Litigation, State Taxation.

Matthew David Carlson's college and law school education includes Sonoma State University, Class of 2002, B.S., University of the Pacific, Class of 2008, J.D., With Distinction. Other biographical background includes Representative Cases: Reyes v. State of California, Case No. 2015-185560, May 26, 2016 (defeated California Franchise Tax Board Anti-SLAPP motion to strike regarding Rev. & Tax. Code § 21021 damages complaint in a matter of first impression). Mountanos v. Commissioner, T.C. Memo. 2014-38 (I.R.C. § 6662(h) gross valuation misstatement penalty). Simpson v. Commissioner, 141 T.C. No. 10 (precedential opinion concerning taxation of settlement proceeds). Shaw v. Commissioner, T.C. Memo. 2013-170 (debt-equity characterization). Mountanos v. Commissioner, T.C. Memo. 2013-138 (conservation easement deduction valuation and substantiation requirements). | | My legal practice is devoted substantially to tax law, including business transactions, trusts and estates, and real estate matters involving complex tax issues. I also specialize in tax controversy, routinely representing business and individual clients before federal, state, and local tax authorities as well as handling all aspects of tax litigation, including law and motion, trials, and appellate practice at the state and federal levels.. You should contact other lawyers and law firms nearby before choosing your legal representatives.

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