Associate
May Y. Chow
Tax, Tax Controversy & Litigation, Artificial Intelligence
Übersicht
May Chow assists taxpayers at all levels of federal tax controversy, including IRS audits, administrative appeals, competent authority, and litigation. She has helped several multinational companies in the life sciences industry navigate international tax and transfer pricing matters. In helping taxpayers prepare for IDRs, functional interviews, and site tours, she takes a thorough approach to understanding each client’s operations, activities, and values.
Erfahrung
- Guidant LLC v. Commissioner of Internal Revenue, T.C. Docket No. 5501-12 (IRC § 482 reallocations).
- Cardiac Pacemakers, Inc. v. Commissioner of Internal Revenue, T.C. Docket No. 5502-12 (IRC § 482 reallocations).
- Boston Scientific Corporation v. Commissioner of Internal Revenue, T.C. Docket No. 26876-11 (IRC § 482 reallocations).
- Guidant LLC v. Commissioner of Internal Revenue, T.C. Docket No. 5989-11 (IRC § 482 reallocations).
- Cardiac Pacemakers, Inc. v. Commissioner of Internal Revenue, T.C. Docket No. 5990-11 (IRC § 482 reallocations).
- Cardiac Pacemakers, Inc. v Commissioner of Internal Revenue, T.C. Docket No. 10985-11 (IRC § 367 allocations).
Ausbildung
- University of Michigan, BA, with highest distinction
- Harvard Law School, JD, cum laude
Executive Editor, Harvard Journal of Law and Public Policy
Zulassungen
- Illinois
Courts
- US Tax Court