Kathryn E. Pittman: Lawyer with Sutherland Asbill & Brennan LLP

Kathryn E. Pittman

Associate
Washington,  DC  U.S.A.
Phone202.383.0826

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Experience & Credentials
 

Practice Areas

  • State and Local Tax
  • Tax
 
Contact InfoTelephone: 202.383.0826
Fax: 202-637-3593
http://www.sutherland.com/People/Kathryn-E-Pittman
 
University Wake Forest University, B.A., summa cum laude, with honors in Psychology Phi Beta Kappa
 
Law SchoolGeorgetown University Law Center, J.D., cum laude Lead Articles Editor, The Tax Lawyer; Georgetown University Law Center (LL.M., Taxation; Certificate, Estate Planning)
 
Admitted2013, District of Columbia; Virginia
 
Biography

Kathryn Pittman advises clients regarding the state and local tax (SALT) consequences of their various business transactions. She is experienced in multistate taxation issues, including income, property, franchise, sales and use taxes. Additionally, Kathryn represents clients in various stages of tax controversy and planning.

Prior to joining Sutherland, Kathryn was a senior associate at a large, international accounting firm in Virginia. There, she also focused her practice on state and local taxation matters, gaining experience in the interaction between federal and state law in corporate, international and exempt organization matters.

 
ISLN922363901
 

Documents by this lawyer on Martindale.com

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A Smorgasbord of State Tax Issues: Virginia Addresses Entity Classification, Nexus and Subject-to-Tax Add-Back Exception
Andrew D. Appleby,Kathryn E. Pittman, July 3, 2014
In a post-audit challenge by a taxpayer, the Virginia Tax Commissioner addressed entity classification, nexus and royalty add-back issues. The Commissioner found that the taxpayer did not provide sufficient evidence that its single member LLC was a disregarded entity or that certain entities were...

Off With Your Head(quarters)? Oklahoma's Headquarters Deduction Survives Constitutional Challenge
Timothy A. Gustafson,Kathryn E. Pittman, May 5, 2014
The Oklahoma Supreme Court held Oklahoma’s deduction for capital gains arising from the sale of a company headquartered in the state for three or more years does not violate the dormant commerce clause of the U.S. Constitution. The taxpayer, a California company with its headquarters in...

The Check is in the Mail: Billing and Collection Services Not Subject to Ohio Sales and Use Tax
Andrew D. Appleby,Kathryn E. Pittman, March 14, 2014
The Ohio Tax Commissioner determined that billing and collection services were nontaxable debt collection services rather than taxable automatic data processing services. The taxpayer provided a variety of billing and collection services to physicians, health care practitioners and other medical...

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Office Information

Kathryn E. Pittman

700 Sixth Street NW, Suite 700
WashingtonDC 20001-3980




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