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William S. Lee

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William S. Lee

William S. Lee

Partner
 
Fulbright & Jaworski L.L.P.
1301 McKinney, Suite 5100
Houston, Texas  77010-3095
(Ft. Bend, Harris & Montgomery Cos.)

Telephone: 713-651-5151
Fax: 713-651-5246
http://www.fulbright.com


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Practice AreasTaxation
 
EducationUniversity of Texas, LL.B., 1975; New York University, LL.M., 1979, University of Texas, B.B.A., 1972
 
Admitted1975, Texas
 
MembershipsState Bar of Texas; American Bar Association.
 
BiographyFaculty Member, National Institute for Trial Advocacy Courts. Speaker "Litigating in the U. S. Tax Court," American Bar Association Section of Taxation, Southern Methodist University School of Law; "Advanced Federal Tax Litigation Conference," Law Parker Fielder Oil and Gas Tax Conference, University of Texas School; State Bar of Texas, Tax Section, Tax Executives Institute. Certified Public Accountant.
 
ISLN905549598
 
TransactionsBP Exploration & Oil, Inc. v. United States, 88 A.F.T.R. 2d 2001-5016 (Fed. Cir. 2001); BP Exploration & Oil, Inc. v. United States, 46 Fed. Cl. 526 (2000); The Coca-Cola Company v. Commissioner, 106 T.C. 1 (1996); Pacific Enterprises v. Commissioner, 101 T.C. 1 (1993); Shell Oil Co. v. Commissioner, 952 F.2d 885 (5th Cir. 1992); Shell Oil Co. v. Commissioner, 89 T.C. 371 (1987); Browning Ferris Industries, Inc. v. Commissioner, 53 T.C.M. (CCH) 397 (1987); Furstenberg v. Commissioner, 83 T.C. 755 (1984).
 

Documents by this lawyer on Martindale.com


U.S. Court of Appeals Rules That IRS is Entitled to Tax Accrual Work Papers
Nancy T. Bowen, William S. Lee, Robert C. Morris, August 20, 2009
In a highly controversial 3-2 decision, the United States Court of Appeals for the First Circuit ruled in United States v. Textron, Inc., 2009 U.S. App. LEXIS 18103 (1st Cir. Aug. 13, 2009), that the work product privilege does not protect a company's tax accrual work papers from IRS discovery. The...


 

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