Admitted
1977, Pennsylvania; 1980, California; 1983, Colorado, U.S. Court of Appeals, Tenth Circuit and U.S. Tax Court
Law School
Gonzaga University, J.D., magna cum laude, 1977; New York University, LL.M., in taxation, 1982
Law School Graduation Year
1982
College
Temple University, B.S., 1967
Memberships
American Bar Association (Member, Taxation Section); Association of American Law Schools (Member, Tax Section)
Biographical
Articles Editor, Gonzaga Law Review. Editor-in-Chief, AALS Tax Section Newsletter, 1985-1997. Editor and Principal Author: Effectively Representing a Client Before The 'New' IRS, (a 3-volume treatise to be published by the American Bar Association in 2000 and reversed 2001). Author: When The IRS Wants Your Client to Pay Trust Fund Taxes Parts I, II and III, Colorado Lawyer, September, October, November, 1997. Author: Innocent Spouse Relief: A Call for Legislative and Judicial Liberalization, The Tax Lawyer, 1987; The Evolving Due Diligence Requirement of the Service in Determining a Taxpayer's Last Known Address, Tax Law Review, 1985; Rights and Obligations of Partners under TEFEA When Their Partnership is Audited, Journal of Partnership Taxation, 1984; Section 6901: Transferee Liability, The Tax Lawyer, 1977. Professor, University of Denver College of Law and Graduate Tax Program, 1982—. Formerly Certified Public Accountant, Pennsylvania. Trial Attorney, Regional Counsel (IRS), 1977-1981. Fellow, American College of Tax Counsel.