Lawyer Paul G. Topolka, graduated from
Western Michigan University, B.B.A. Valparaiso University School of Law, J.D., is now employed by Nexsen Pruet, LLC at
701 Green Valley Rd., Ste. 100 Greensboro, NC 27408.Paul G. Topolka is one of the more than one million lawyers in United States. Before choosing Paul G. Topolka as your lawyer, you should consider whether Paul G. Topolka 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 Paul G. Topolka has ever been placed under any disciplinary actions. Please be aware that, though Paul G. Topolka's office is located at Greensboro, NC, 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.
Paul G. Topolka has been admitted in 1971, Illinois; United States Tax Court(Not admitted in North Carolina). His or her practice areas include Tax Criminal Investigations; Tax Law; Tax Controversy; State and Local Taxation; Federal Taxation; Tax Exempt Organizations.
Paul G. Topolka's college and law school education includes Western Michigan University, B.B.A., Valparaiso University School of Law, J.D.. Other biographical background includes He has also obtained favorable outcomes in various Estate & Gift tax cases involving valuation issues and expert witness reports; the trust fund recovery penalty area for responsible officers; IRS's offshore voluntary disclosure initiative (OVDI) involving the failure to file FBARs (Reports of Foreign Bank & Financial Accounts - TDF 90-22.1); and certain penalty cases under Sections 6707 and 6707A for failure to disclose reportable transactions under Section 6011.. You should contact other
lawyers and law firms nearby before choosing your legal representatives.
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