- Tailored SolutionsInnovative Strategies
Caplin & Drysdale attorneys have advised clients in controversies spanning the full range of the Internal Revenue Code and our highly-skilled litigators can translate the firm's substantive knowledge and courtroom experience into a winning litigation strategy in the various forums in which tax cases can be litigated.
Caplin & Drysdale’s International Tax practice derives its strength from the technical depth and wide-ranging experience of our attorneys. Our practice is informed by our attorneys’ experiences in the IRS, the Department of the Treasury, federal clerkships, the private sector, and their collective decades of client work for multi-national corporations, investment funds, foreign governments, private individuals, and others.
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Caplin & Drysdale has broad experience advising business entities and their principals in tax planning with respect to both their operations and their transactions. Clients include domestic and foreign manufacturing and service companies, fund managers, financial institutions, and insurance companies.
Caplin & Drysdale litigators are regularly asked to handle complex business, financial, and commercial disputes that have put a business in peril. We also represent plaintiffs around the world seeking to have their rights vindicated through the court system.