Admitted
1973, Kansas and U.S. Tax Court; 1978, U.S. Supreme Court; 1980, Wisconsin
Law School
University of Kansas, J.D., 1973; Georgetown University, LL.M. in Taxation, 1977
Law School Graduation Year
1977
College
Valparaiso University, B.A., 1970
Biographical
Author: Income Tax Consequences of Net Gifts, 59 Taxes 275 (1981); Satisfying the Exchange Requirement in Simultaneous and Multi-party 1031 Deals, 56 Journal of Taxation 74 (1982); Assess the Risks of Tax Shelters, Wisconsin Business Journal, December (1984). Co-Author: Tax Planning for Real Estate Transactions, Prentice-Hall (1983); Using Grantor Trusts to Avoid Partnership Problems in Equipment Leasing Tax Shelters, 60 Journal of Taxation 220 (1984); Business Acquisitions: When Partnerships Have the Advantage, Corporate Controller (1991). Instructor, Corporate Tax Planning, Graduate Tax Program, University of Wisconsin-Milwaukee, 1981-2001. Instructor, Advanced Real Estate Tax Planning, Graduate Tax Program, University of Wisconsin-Milwaukee, 1982-1986, 1996-1998. Consultant to Chief Counsel, Internal Revenue Service, 1980. Chief Counsel, Internal Revenue Service, Washington, D.C., 1973-1977; Milwaukee, Wisconsin, 1977-1980. Founder and Officer, Wisconsin State and Local Tax Club. Member, 1987—; Chair and Officer, Milwaukee Tax Club, 2000—.