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 | Mary A. McNultyPartner
Thompson & Knight LLP One Arts Plaza, 1722 Routh Street, Suite 1500 Dallas, Texas
75201 (Collin, Dallas & Denton Cos.)
Telephone: 214.969.1187 Fax: 214.880.3182 http://www.tklaw.com
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| Practice Areas | Tax Controversies; Climate Change and Renewable Energy; Tax Planning | | | Education | Southern Methodist University School of Law, J.D., cum laude, 1988, University of Notre Dame, B.B.A., with highest honors, 1985 | | | Admitted | 1989, Texas; 1991, U.S. Tax Court; 1993, U.S. Court of Federal Claims; 1994, U.S. Court of Appeals, Fifth and Federal Circuits; 1996, U.S. Supreme Court; 2002, U.S. Court of Appeals, Tenth Circuit | |
| Memberships | Dallas (Member, and Vice Chair, 2005, Tax Section; Member, Council, 2002-2004) and American (Member, Tax Section, Court Procedure and Practice Committee, Chair, 2005-2007, Vice-Chair, 2001-2005, Tax Court Appointments, 2007-2009, Committee on Government Submissions) Bar Associations; State Bar of Texas (Member: Chair, Energy Tax Committee, 2003-2005; Partnership Committee; Controversy Committee; Treasurer, 2008-2009; Council, 2005-2008; Secretary, 2009-2010); American College of Tax Counsel. | | | Biography | Order of the Coif; Beta Gamma Sigma; Beta Alpha Psi. Assistant Editor-in-Chief, Southwestern Law Journal, 1987-1988. Certified Public Accountant, Texas, 1989—. Named to "America's Leading Lawyers for Business," (Tax, Tax: Litigation Law) Chambers & Partners, Chambers USA, 2009. Listed in: D Magazine, The Best Lawyers in Dallas Under 40, May 2002; Texas Super Lawyers (Tax), 2003-2009. Selected for inclusion in 2006-2008 editions of The Best Lawyers in America, 2009-2010 (Tax Law). Listed in D Magazine's, Best Business Lawyers in Dallas (Tax), 2009; D Magazine's, The Best Lawyers in Dallas, 2007 and 2008. Member, 2001, 2003, 2007 and 2009 U.S. Tax Court Judicial Conferences. | | | Reported Cases | ThyssenKrupp U.S.A., Inc. v. United States, Ct. Fed. Cl. No. 07-529T (pending); Tenet Heathcare Corporation v. United States, Ct. Fed. Cl. No. 05-1131T (pending); BASF International Corporation v. United States, Ct. Fed. Cl. No. 05-298 T; Texaco Inc. v. United States, Ct. Fed. Cl. Nos. 00-195 T and 01-461 T (pending); Four Star Oil & Gas Co. v. United States, 49 Fed. Cl. 755 (2001); Caltex Petroleum Corp. v. United States, No. 98-429 T (Ct. Fed. Cl. 1999) (dismissed by stipulation); Texaco Inc. v. Commissioner, 98 F.3d 825 (5th Cir. 1996), aff'g sub nom. 66 T.C.M. (CCH) 1708 (1993), cert. denied, 117 S. Ct. 1467 (1997); related proceeding, 63 T.C.M. (CCH) 2067 (1992); Maxus Energy Corp. v. United States, 31 F.3d 1135 (Fed. Cir. 1994); Chevron U.S.A., Inc. v. United States, 81 F.3d 154 (5th Cir. 1996). | | | ISLN | 904904732 | | | Transactions | Represent taxpayers in IRS audit, appeals, and tax litigation. Cases in areas including interest, penalty, tax shelters, tax shelter promotors, partnerships, purchase price allocations, and oil and gas. Transactions involving partnerships and investments by tax-exempt entities. | |
Documents by this lawyer on Martindale.com
IRS Modifies 2007 Ruling on Wind Energy PartnershipsRoger D. Aksamit, Marc E. Grossberg, Mary A. McNulty, R. David Wheat, October 27, 2009 On September 21, 2009, the Internal Revenue Service (the "IRS") issued Announcement 2009-69 (the "Announcement") modifying the language of certain provisions of Revenue Procedure 2007-65. Revenue Procedure 2007-65 establishes safe harbor requirements for the allocation of... |
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