Homer Tax Lawyer, Minnesota

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Richard F. Blahnik

Estate Planning, Banking & Finance, Credit & Debt, Bankruptcy
Status:  In Good Standing           

Bruce A. Nelson

Criminal, Banking & Finance, Credit & Debt, Bankruptcy
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Beau James Van Beek

Real Estate, Motor Vehicle, Patent, Divorce
Status:  In Good Standing           Licensed:  14 Years

Michael D Bernatz

Wills & Probate, Elder Law, Corporate, Personal Injury
Status:  In Good Standing           Licensed:  44 Years

Richmond H Mccluer

Child Custody, DUI-DWI, Criminal, Personal Injury, Accident & Injury
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Richmond H Mccluer

Criminal, Felony
Status:  In Good Standing           Licensed:  42 Years

Kurt Knuesel

Accident & Injury, DUI-DWI, Felony, Personal Injury
Status:  In Good Standing           

Kurt Jerome Knuesel

Accident & Injury, Criminal, Traffic, DUI-DWI
Status:  In Good Standing           

Lee Ann Riehle

Estate Planning, Elder Law, Family Law, Criminal, Commercial Real Estate
Status:  In Good Standing           Licensed:  31 Years

Eric P Johnsrud

Real Estate, Family Law, Adoption
Status:  In Good Standing           Licensed:  40 Years

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

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800-943-8690

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Lawyer.com can help you easily and quickly find Homer Tax Lawyers and Homer 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

Schober v. Commissioner of Revenue

... Schober next argues that the Commissioner's sales tax assessment violates 293 the Equal Protection Clause of the Fourteenth Amendment and the Uniformity Clause of Article X of the Minnesota Constitution because it constitutes double taxation, and the Commissioner should ...

HealthEast v. County of Ramsey

... its real property housing the Bethesda Clinic. HealthEast and University of Minnesota Physicians contend that the subject real property is exempt from taxation under Minn.Stat. § 273.19 (2008). At the time of the assessments ...

Sytsma v. Commissioner of Revenue

... previously paid for tax years 2006-2008. Because we find no merit to appellant's argument that, as a private employee, he is not subject to income taxation, we affirm. DECISION. The district court may grant summary judgment ...