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Dwaune L. Dupree: Lawyer with Sutherland Asbill & Brennan LLP

Dwaune L. Dupree

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Dwaune L. Dupree
Associate
Washington,  DC  U.S.A.
Phone202.383.0206

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Experience & Credentials
 

Practice Areas

  • Tax
  • Tax Litigation and Controversy
  • International Taxation
 
Contact InfoTelephone: 202.383.0206
Fax: 202-637-3593
http://www.sutherland.com/dwaune_dupree/
 
University Wharton School, University of Pennsylvania, B.S., 2004
 
Law SchoolWashington University School of Law, J.D., 2007 Managing Editor, Washington University Global Studies Law Review; New York University School of Law, LL.M. in Taxation, 2008
 
Admitted2008, New York; District of Columbia
 
Born1982
 
Biography

Dwaune Dupree is a member of Sutherland's Tax Practice Group focusing primarily in the areas of federal tax controversy and federal tax litigation. He represents corporations and partnerships in a wide range of domestic and international tax issues arising from general business operations and complex financial transactions. Dwaune represents clients in all phases of tax controversy, including examination, administrative appeal and litigation. He is admitted to practice before the U.S. Tax Court, and has practiced in U.S. District Court.

During law school, Dwaune served as an intern for the Honorable Henry E. Autrey of the Federal District Court for the Eastern District of Missouri.

Professional and Community Involvement

· Member, Taxation Section, American Bar Association

· Member, Taxation Section, District of Columbia Bar Association

· Member, Taxation Section, New York Bar Association

· Member, Taxation Section, National Bar Association

· Former Teaching Assistant, Legal Research and Writing, Washington University School of Law

· Former Treasurer, Black Law Students Association, Washington University School of Law

Recent Publications

· Co-author, "The FBAR Reset: Final Regulations Provide Mixed Guidance," Tax Notes (April 25, 2011)

· Author, "The Potential Costs of Capitalism: Why China's Market Economy is at the Root of its Anti-Secession Law," Washington University Global Studies Law Review (2007)

Legal Alerts

Legal Alert: FinCEN Extends Due Date for Certain FBAR Filers
February 17, 2012

Legal Alert: Proposed Section 892 Regulations Provide Relief From the "All or Nothing" Rule and Permit SWF Limited Partners to Avoid Commercial Activity Attribution
November 8, 2011

Legal Alert: Assignment of the Times: New Tax Rules Respond to Concerns Regarding Assignment of Derivative Contracts Required by Dodd-Frank
July 25, 2011

Legal Alert: It's Just a Phase: The "Phased Implementation" of FATCA Under Notice 2011-53
July 18, 2011

Legal Alert: Last Minute FBAR Extensions for "Signature Authority Only" Filers - Making Sense of the Announcements
June 21, 2011

Legal Alert: FinCEN Extends FBAR Filing Deadline for Certain Officers and Employees - Does This Portend Changes?
June 3, 2011

Legal Alert: Resetting the FBAR: Foreign Financial Account Reporting Regulations are Finalized With Significant, But Not Always Helpful, Clarifications
March 4, 2011

Publications

The Potential Costs of Capitalism: Why China's Market Economy is at the Root of its Anti-Secession Law
2007 Washington University Global Studies Law Review

 
ISLN920535927
 

Documents by this lawyer on Martindale.com

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FinCEN Extends Due Date for Certain FBAR Filers
Robert S. Chase,Dwaune L. Dupree,Amanda R. Pugh,Carol P. Tello, February 20, 2012
On February 14, 2012, the Department of Treasury’s Financial Crimes Enforcement Network (FinCEN) issued Notice 2012-1, which extended the filing deadline for both the 2010 and 2011 Report of Foreign Bank and Financial Accounts (FBARs) to June 30, 2013, for certain officers and employees with...

Proposed Section 892 Regulations Provide Relief From the “All or Nothing” Rule and Permit SWF Limited Partners to Avoid Commercial Activity Attribution
William H. Bradley,Dwaune L. Dupree,Daniel R. McKeithen,Carol P. Tello, November 11, 2011
Proposed regulations issued under Internal Revenue Code section 892, on November 2, 2011, address some of the most criticized rules under temporary regulations issued more than 20 years ago. Under the controlled commercial entity (CCE) regulations, engaging in even a de minimis amount of commercial...

It’s Just a Phase: The “Phased Implementation” of FATCA Under Notice 2011-53
Robert S. Chase,Dwaune L. Dupree,Michael R. Miles,William R. Pauls,Carol P. Tello, July 21, 2011
On July 14, 2011, Treasury and the Internal Revenue Service (IRS) released Notice 2011-53 (the Notice), which provides transition rules for implementation of the Foreign Account Tax Compliance Act (FATCA). Although the statutory effective date of the FATCA provisions is January 1, 2013, the...

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Office Information

Dwaune L. Dupree
Sutherland Asbill & Brennan LLP
1275 Pennsylvania Avenue, NW
Washington, DC 20004-2415




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