Mary C. Alexander

Associate
Washington,  DC  U.S.A.
Phone202.383.0881

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Experience & Credentials
 

Practice Areas

  • Tax
  • State and Local Tax
  • Tax Controversy & Litigation
 
Contact InfoTelephone: 202.383.0881
Fax: 202-637-3593
http://www.sutherland.com/People/Mary-C-Alexander
 
University New York University, B.A., magna cum laude Phi Beta Kappa
 
Law SchoolThe University of Texas School of Law, J.D., with honors; New York University School of Law, LL.M., Taxation
 
Admitted2010, Texas; District of Columbia
 
Biography

Mary Alexander counsels clients in an array of state and local tax (SALT) matters, including compliance, planning, controversy and policy. She also regularly assists with administrative protest issues before state tax authorities across the United States, and tax litigation matters in various courts. Her clients frequently face issues regarding income taxes, franchise taxes, sales and use taxes, property taxes, unclaimed property and federal and state taxes.

Prior to joining Sutherland, Mary was an associate with a large law firm in Houston.

 
ISLN921821388
 

Documents by this lawyer on Martindale.com

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Communication Breakdown: Taxable Service Taints Installation Charge in Maine
Mary C. Alexander,Andrew D. Appleby, June 2, 2014
The Maine Board of Tax Appeals determined that a non-itemized installation charge was subject to the service provider tax (SPT) when a portion of the charge included the installation of telecommunications equipment. The taxpayer, an Internet service provider, invoiced customers a single...

In-and-Out in Oregon: Department Updates Rules on Apportionment and Adjustments
Mary C. Alexander,Timothy A. Gustafson, March 4, 2014
In an administrative order, the Oregon Department of Revenue (1) repealed a rule related to Oregon’s Multistate Tax Compact (MTC) statute, (2) changed the method for utility and telecommunication providers to elect a double-weighted sales factor and (3) provided instructions on the time to...

Sales Tax on Out-of-State Deliveries? Misery Is Spelled M-i-s-s-o-u-r-i
Mary C. Alexander,Andrew D. Appleby, March 4, 2014
The Missouri Department of Revenue determined that a Missouri-based seller was required to collect and remit sales tax on sales to a Missouri-headquartered customer despite the fact that the items were shipped to the customer’s out-of-state locations. The seller fulfilled the orders by...

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Office Information

Mary C. Alexander

700 Sixth Street NW, Suite 700
WashingtonDC 20001-3980




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