A Partner with White & Case, Kim Marie Boylan is an experienced tax attorney who, for almost three decades, has represented taxpayers in resolving their tax disputes successfully by utilizing the IRS's administrative appeals procedures, mediation, and other alternative dispute resolution processes. In addition, Ms. Boylan has represented numerous clients in judicial proceedings in the United States Tax Court, United States Court of Federal Claims, and in various district and appellate courts. Her practice also encompasses transfer pricing, as well as the Advance Pricing Agreement process. She has been recognized in the US Legal 500 for Tax Controversy every year since its inception, in Euromoney's 2013 Guide to the World's Leading Transfer Pricing Advisors, and was named Tax Disputes Attorney of the Year for 2014 by Corporate Intl Magazine Global Awards. She also has testified on behalf of clients before the United States Department of the Treasury, Internal Revenue Service, and the Financial Accounting Standards Board.
Education:
LL.M., Georgetown University Law Center (1993) with distinction
J.D., Syracuse University College of Law (1986) cum laude
B.S., Georgetown University (1981)
Bloomberg Tax Management Portfolios
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The Section 7525 Tax Practitioner-Taxpayer Privilege and Related Issues (Portfolio 5511)
This Portfolio discusses Section 7525 of the Code, a statutory privilege applicable to communications between federally-authorized tax practitioners and taxpayers.
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Privilege in Tax and Accounting Matters (Portfolio 635)
The Portfolio, Privilege in Tax and Accounting Matters, No. 635, examines applicable testimonial and documentary protections in the tax advice and dispute context.