Sahang-Hee Hahn

Associate
New York,  NY  U.S.A.
Phone212.389.5028

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Experience & Credentials
 

Practice Areas

  • Tax
  • Tax Controversy & Litigation
  • State and Local Tax
 
Contact InfoTelephone: 212.389.5028
Fax: 212-389-5099
http://www.sutherland.com/People/Sahang-Hee-Hahn
 
University University of Pennsylvania, B.A., magna cum laude
 
Law SchoolWashington and Lee University School of Law, J.D.
 
Admitted2010, New York
 
LanguagesKorean
 
Biography

Sahang-Hee Hahn is a member of Sutherland's Tax Practice Group, focusing her practice on state and local tax matters.

Sahang-Hee assists clients regularly with state and local tax controversies, tax planning, and compliance matters. Her experience includes representing clients in state and local tax controversies; advising on tax issues arising during mergers, acquisitions, and internal restructurings; managing audits; and assisting with tax credits and incentives applications.

Prior to joining Sutherland, Sahang-Hee was a tax associate at a large law firm in New York.

 
ISLN921117900
 

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Signed, Sealed, Delivered, They're Ours: Illinois Sources Cloud Computing Receipts Using Market-Based Approach
Sahang-Hee Hahn,Pilar Mata, July 3, 2014
The Illinois Department of Revenue determined that a taxpayer’s cloud computing receipts should be sourced for sales factor purposes using a market-based approach because the receipts were derived from services. The taxpayer was an information technology hosting services provider engaged in a...

Rumor Has It: IT USA Wins on Decombination at New York Tax Appeals Tribunal
Timothy A. Gustafson,Sahang-Hee Hahn, May 13, 2014
The New York State Tax Appeals Tribunal ruled the New York State Department of Taxation and Finance could not decombine taxpayers’ New York combined filing group for tax years 2002-2004. The Tribunal’s ruling upholds the ALJ’s determination that there was a sufficient flow of...

No "Best Method" in the Madness: Taxpayer's Transfer Pricing Study Fails to Stop Forced Combination in Indiana
Timothy A. Gustafson,Sahang-Hee Hahn, April 17, 2014
The Indiana Department of Revenue required an out-of-state clothing company and its subsidiary to file a combined Indiana corporate income tax return, determining that the taxpayer’s transfer pricing study was insufficient to establish that its intercompany transactions were conducted at...

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Office Information

Sahang-Hee Hahn

1114 Avenue of the Americas, 40th Floor
New YorkNY 10036-7703




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