Mr. Poe's practice focuses primarily on state and local taxation, including property tax, state and local sales and use tax, state income tax, and severance tax. He also has experience with unclaimed property laws, taxation by Indian tribes, and in federal income tax litigation.
Substantive Practice
Represents taxpayers in all phases of state, local, and tribal tax controversies, including audits, assessments, protests, negotiations, administrative hearings, mediation, arbitration, litigation, and appellate proceedings.
Advises clients on the state, local, and tribal tax consequences of transactions and business activities.
Represents clients in negotiating tax incentive agreements with state and local jurisdictions.
Assists taxpayers in negotiating voluntary disclosure agreements with state and local jurisdictions.
Represents companies in connection with unclaimed property audits.
Represents taxpayers in federal income tax litigation in the United States Tax Court and in the United States Court of Federal Claims.
Industries Represented
Centrally assessed (public utility) taxpayers, including telecommunications companies, electric companies, pipeline companies, airlines, railroads, and private car line companies
Oil and gas companies, mining companies, timber companies, and other natural resource companies
Manufacturers, contractors, and transportation companies
Real estate developers
Retailers and wholesalers
Computer software companies and consulting firms
Hotels, restaurants, ski areas, and movie theaters
Healthcare companies and insurance companies
Office buildings, shopping centers, apartment complexes, industrial buildings, commercial property, vacant land, mineral property, and agricultural property
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