300 Miron Dr, Southlake, TX 76092, USA
David B. Coffin is the sole and founding member of the DFW law firm of David Coffin PLLC. His practice is focused solely on IRS controversy and disputes for individuals and businesses throughout Texas. Before opening his firm in November of 2010, David practiced as a Trial Attorney for more than 11 years with the Department of Justice Tax Division, where he represented the IRS in bankruptcy and federal district courts throughout Texas. His cases included several complex legal and factual corporate tax shelter cases, see, e.g., TransCapital Leasing Associates 1990-II L.P. v. United States, 97 A.F.T.R.2d 2006-1916, 2006 WL 897723 (W. D. Texas March 31, 2006), aff’d without published opinion, 246 Fed. Appx. 266, 100 A.F.T.R.2d 2007-5778 (5th Cir. August 23, 2007); and Enbridge Energy Co., Inc. v. United States, 553 F.Supp.2d 716 (S.D. Tex. 2008), aff’d without published opinion, 354 Fed. Appx. 15, 104 A.F.T.R.2d 2009-7289 (5th Cir. November 10, 2009). David also handled a wide range of cases dealing with the enforcement of federal tax liens including claims of fraudulent conveyances, nominee holders and jeopardy levies, and cases involving the Trust Fund Recovery Penalty assessment. See, e.g., In re Wren Alexander Investments, LLC, 2011 WL 748131 (Bankr. W.D. Tex. 2011); United States v. Evans, 513 F. Supp. 2d 825 (W.D. Tex. 2007), Parr v. United States, 203 F. Supp. 2d 726, 2002 (S.D. Tex. 2002), United States v. Burnett, 2010 WL 3941906 (S.D. Tex. 2010), Pircher v. United States, 2008 WL 5245409, (W.D. Tex. 2008) and In re Chabrand, 301 B.R. 468 (Bankr. S.D. Tex. 2003). David earned his BBA in accounting and his law degree from the University of Oklahoma. He is licensed to practice law and is a certified public accountant in Oklahoma and Texas. David and his wife, Sonja have 3 children and reside in Grapevine, Texas.
1000 Woodfield Rd, STE 233, Schaumburg, IL 60173
Richard M. Colombik is an award winning Attorney, CPA with a Doctorate in Jurisprudence with Distinction, who was formerly on the tax staff of one of the world’s wealthiest families. Mr. Colombik has also been a tax manager at a Big Four accounting firm, the State Bar’s liaison to the Internal Revenue Service, Vice President of the American Association of Attorney-CPAs, Vice Chairman of the American Bar Association’s Tax Section of the General Practice Council, as well as the past Chair of the Illinois State Bar Association’s Federal Tax Committee. Mr. Colombik is currently on the liaison committee to the IRS for 2009-2010 for the Illinois State Bar Association, is a member of the Asset Protection Committee, ABA, and is a member of the Offshore Institute.
2000 Market St, Philadelphia, PA 19103, USA
Ian has more than 35 years of experience representing corporations and individuals in civil and criminal tax litigation, white-collar criminal defense, and complex corporate and commercial disputes. Ian frequently advises individuals on their U.S. tax and foreign asset reporting (FBAR and FATCA) obligations and has represented hundreds of individuals with undisclosed foreign bank accounts through the IRS voluntary disclosure programs. He also counsels individuals and corporations in civil audits and criminal investigations arising out of tax-sheltered investments.
500 Boylston Street, 4th Floor, Boston, MA 02116
Michael is a Managing Director in the Tax Group at CBIZ & MHM New England (formerly CBIZ Tofias). He is also the Leader of the Boston Tax Group and Leader of the Life Sciences Practice in New England. Prior to joining the company, he served as a Tax Consulting Senior Manager in Ernst & Young\'s New England Tax Practice. Michael has more than 25 years of experience serving publicly traded and privately held clients in the life science, technology, manufacturing and retail/distribution industries. Michael has assisted many multinational companies in developing and implementing proactive federal, state and international tax plans to minimize their worldwide tax liability. Michael\'s experience also includes assisting publicly traded companies with ASC 740 (formerly FAS 109), ASC 740-10 (formerly FIN 48) and ASC 450 (formerly FAS 5) tax accounting issues, conducting Research & Development and Orphan Drug tax credit studies, consulting on the Medical Device Excise Tax, serving as temporary Director of Tax for a publicly traded bio-pharmaceutical company, and working with closely held companies on tax and succession planning strategies. His expertise includes acquisition/disposition structuring, representing clients before various taxing authorities, and corporate tax planning and consulting.
30 N LaSalle St, STE 3000, Chicago, IL 60602
Steven A. Felsenthal advises business owners, executives and closely held companies in the areas of income tax planning and controversies, sales and acquisitions, debt restructuring, estate planning, strategic planning and real estate transactions, including the development and financing of subsidized housing. His broad depth of experience in many facets of the law allows Steve to bring a unique perspective to creatively and effectively solving his clients' problems. Steve has also served as an expert witness in cases involving tax disputes and accountant and attorney malpractice actions. He is a member of the American Bar Association, Illinois State Bar Association, and Chicago Bar Association. Mr. Felsenthal earned his B.A. from the University of Illinois before attending Harvard Law School, where he earned his J.D.