Sutherland Asbill & Brennan LLP

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Sutherland Asbill & Brennan LLP 
Sacramento, California Office
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500 Capitol Mall, Suite 2500
Sacramento, California  95814

(Sacramento Co.)

Telephone: 916.241.0500
Fax: 916.241.0501
http://www.sutherland.com

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About this office:

Sutherland is an international legal service provider composed of associated legal practices that are separate entities, doing business in the U.S. as Sutherland Asbill & Brennan LLP and as Arbis Sutherland LLP in London and Geneva. More than 435 lawyers help the world's largest companies, industry leaders, sector innovators and business entrepreneurs solve their biggest challenges and reach their business goals. Seven major practice areas—corporate, energy and environmental, financial services, intellectual property, litigation, real estate and tax—provide the framework for an extensive range of focus areas.



 

Statement of Practice Summary:
General Practice; Trial Practice; Aerospace Law; Agribusiness; Alternative Dispute Resolution; Antitrust And Trade Regulation; Appellate Practice; Automotive Franchises and Dealerships; Aviation Law; Banking Litigation; Bankruptcy; Banks and Banking; Biotechnology; Broker-Dealer; Business Law; Business Restructuring; Civil Rights; Class Actions; Climate Change; Commercial Litigation; Commercial Loans; Commercial Real Estate Acquisitions; Computers and Software; Construction Law; Consumer Finance; Consumer Financial Services; Consumer Law; Controversy; Copyrights; Corporate Finance; Corporate Governance; Corporate Law; Corporate Taxation; Derivatives; Directors and Officers Liability; Drug and Medical Device Litigation; E-Commerce; E-Discovery; Education Law; Electric Cooperatives Law; Electric Power; Electronics; Employee Benefits; Employment Litigation; Energy; Energy Finance; Energy Policy; Energy Regulation; Environmental Law; Environmental Risk Management; ERISA Litigation; Estate Planning; Executive Compensation; Federal Practice; Finance; Financial Institutions Law; Financial Services Law; Franchise Law; Governmental Organizations; Health Care; Hedge Funds; Hospitality Law; Industrial Development; Industrial Leasing; Insurance Products; Intellectual Property; Intellectual Property Licensing; Intellectual Property Litigation; International Law; International Taxation; International Trade; Investment Company Law; Investment Law; Labor and Employment; Leasing; Life Sciences; Litigation; Local Taxation; Maritime Law; Mechanical Intellectual Property; Mutual Funds; National Security; Natural Gas; Non-Profit; Nuclear Energy; Office Leasing; Oil and Gas Pipelines; Oil Spills; Outsourcing; Partnership Taxation; Pension Fund Investments; Pharmaceutical Intellectual Property; Private Equity; Professional Liability; Project Development; Public Finance; Real Estate; Real Estate Bankruptcy; Real Estate Finance; Real Estate Investment Trusts; Real Estate Litigation; Real Estate Workouts; Regulation; Regulatory Law; Renewable Energy; Retail Development; Retirement Planning; School Finance Litigation; Securities; Securities Enforcement; Securities Litigation; Service Marks; Shipping; State Government Law; State Taxation; Structured Finance; Systems Integration; Tax Exempt Finance; Tax Law; Tax Legislation; Tax Litigation; Taxation; Technology Law; Telecommunications Law; Timber Forest Products; Trade Secrets; Trademarks; Unclaimed Property; White Collar Crime; Workouts; M & A.


Documents by Lawyers at this office
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New Jersey Refund Opportunities Associated with the Deductibility of Other States’ Taxes
Michele Borena,Jonathan A. Feldman,Jeffrey A. Friedman,Todd A. Lard,Carley A. Roberts, November 10, 2014
On October 2, in PPL Electric Utilities Corporation v. Director, Division of Taxation, No. 000005-2011, the New Jersey Tax Court determined that federal deductions for the taxpayer’s payments of Pennsylvania gross receipts tax and Pennsylvania capital stock tax are not subject to addback in...

Illinois Allows Intermediate Carrier to Source International Telecommunications Receipts Based on Its Property Factor
Andrew D. Appleby,Derek Takehara, November 3, 2014
The Illinois Department of Revenue determined that a wholesale distributor of international telecommunications services could source its long-distance telephone receipts based on its Illinois property factor. The taxpayer, an intermediate international telecommunications carrier, owned and rented...

Lighting Up Dark Fiber: Washington Turns on Retail Sales Tax for Dark Fiber
Stephanie T. Do,Timothy A. Gustafson, November 3, 2014
The Washington State Department of Revenue determined that a telecommunications company’s leases of dark fiber were competitive telephone services and thus subject to retail sales tax. The taxpayer leased dark fiber - unused, unlit fiber optic cable - from various carriers and subsequently...




Year Established: 1924


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