Practice Areas ; Federal Tax(50%)&sa=270&d=1&h=180&w=200&sl=false&dm=True&in=50) | |
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| University | Kent State University, B.A., cum laude, 1971 |
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| Law School | Ohio State University College of Law, J.D., summa cum laude, 1974 |
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| Admitted | 1974, Ohio; 1981, California; 1982, District of Columbia |
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| Memberships | Ohio State and American (Chair, Exempt Organizations Committee, Tax Section, 1995-1997; Council Director, 1999—2003, Vice Chair-Publications, 2010-present) Bar Assns.; State Bar of California; District of Columbia Bar; American Health Lawyers Assn. (Member, Board of Directors, 1988-1995; President, 1993-1994). |
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| Born | May 8, 1949 |
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| Biography | Order of the Coif. Associate Editor, Ohio State Law Journal, 1973-1974. Co-Author: "Taxation of Exempt Organizations", Warren, Gorham & Lamont, 2002-2009, "Taxation of Hospitals and Health Care Organizations;" Matthew Bender, 2000. "Joint Ventures Between Hospitals and Physicians", Aspen Systems, 1987; "Navigating Your Way Through the Federal Physician Self-Referral Law;" and Atlantic Information Systems, 1998-2009. Fellow, American College of Tax Counsel and American Health Lawyers Association.
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| Reported Cases | Redlands Surgical Services v. Commissioner, 113 T.C. 47 (1999), aff'd per curiam, 242 F.3d 904 (9th Cir. 2001); IHC Health Plans, Inc. v. Commissioner, 325 F.3d 1188 (10th Cir. 2003). |
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| ISLN | 905214564 |
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