Bellemont Tax Lawyer, Arizona

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Maximilian R. Goldberg

Personal Injury, Family Law, Education, Federal Appellate Practice
Status:  In Good Standing           Licensed:  21 Years

Michael Douglas Milich

General Practice
Status:  Inactive           Licensed:  52 Years

Maria Mather

General Practice
Status:  Inactive           Licensed:  48 Years

Bonny Sue Allen Brogdon

General Practice
Status:  In Good Standing           Licensed:  18 Years

Lee M Nation

Wrongful Death, Personal Injury, Medical Malpractice
Status:  In Good Standing           Licensed:  50 Years

Donal Mcilvaine Hill

General Practice
Status:  Retired           Licensed:  48 Years

Barbara Jean Clementino

General Practice
Status:  Inactive           Licensed:  41 Years

Linda S Golden

General Practice
Status:  In Good Standing           Licensed:  31 Years

Linda S Golden

Corporate
Status:  In Good Standing           Licensed:  41 Years

Pattie R Mcdaniel

General Practice
Status:  Suspended           Licensed:  40 Years

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Free Help: Use This Form or Call 800-943-8690

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Lawyer.com can help you easily and quickly find Bellemont Tax Lawyers and Bellemont Tax Law Firms. Refine your search by specific Tax practice areas such as Corporate Tax, Income Tax, Sales & Use Tax and Tax Litigation matters.

SAMPLE LEGAL CASES

City of Peoria v. BRINK'S HOME SECURITY, INC.

... Association. 1003 OPINION. BALES, Justice. ¶ 1 This case concerns municipal taxation of home-security services when the provider's monitoring facility is out of state and the services include telecommunications. Municipalities ...

City of Peoria v. BRINK'S HOME SECURITY

... Taxpayer's favor. The hearing officer concluded that Arizona Revised Statutes ("ARS") section 42-6004(A)(2) (2006) precluded taxation of gross income earned from the alarm monitoring system business in Phoenix and Peoria. He ...

Tucson Botanical Gardens, Inc. v. Pima County

... For the 2005 tax year, however, the County advised TBG it would only receive a partial exemption because the County had determined the gift shop and meeting areas were not exempt from taxation under ARS § 42-11116. That statute reads as follows: ...