Taylor Lohmeyer Law Firm PLLC v. UNITED STATES OF AMERICA

Track this case

Case Number:

5:18-cv-01161

Court:

Texas Western

Nature of Suit:

Tax Suits: IRS-Third Party

Judge:

Xavier Rodriguez

Firms

  1. November 15, 2022

    Law Firm Gives Up Docs To Satisfy Gov't In IRS Summons Suit

    A law firm challenging an IRS summons for client records in an offshore tax dodging probe likely provided all documents sought by the agency, the U.S. told a Texas federal court, saying it "does not intend to seek further orders of enforcement at this time."

  2. October 14, 2022

    Firm Insists Client Tax Records Protected From IRS

    A law firm continued efforts in Texas federal court to shield client documents from the IRS, which suspects the clients of concealing taxable income overseas, with the firm saying they didn't forfeit attorney-client privilege or other protections for the records.

  3. December 22, 2021

    Top International Tax Cases Of 2021

    Significant rulings in international tax cases during 2021 put European Union and U.S. tax policies to the test while also suggesting an erosion of attorney-client privilege stateside. Here, Law360 examines the top rulings of the year in three distinct areas of international tax.

  4. December 14, 2021

    Texas Court Reopens Summons On Law Firm's Tax Clients

    A Texas federal court reopened a summons seeking information on a law firm's clients who may have concealed taxable income overseas, after the U.S. Supreme Court declined to review the firm's appeal in October, according to a recent order.

  5. October 07, 2019

    Court Halts Summons On Firm's Tax Clients Pending Appeal

    A Texas federal court paused a summons looking into a law firm's clients who may have concealed taxable income overseas, saying the firm could endure irrevocable harm if the summons is executed but found improper on appeal.

  6. July 31, 2019

    CORRECTED: Court Shouldn't Pause Law Firm Summons On Appeal, US Says

    The U.S. has asked a Texas federal court not to pause an Internal Revenue Service summons seeking information on clients suspected of using a law firm to hide taxable income overseas, saying it was likely to be upheld on appeal.

  7. July 29, 2019

    Law Firm Asks Court To Halt Summons During Appeal

    A law firm told a Texas federal court Monday it should halt a John Doe summons seeking material on clients suspected of using the firm to hide taxable income overseas, while it awaits an appeal in the Fifth Circuit. 

  8. May 16, 2019

    US Can Enforce IRS Summons For Law Firm's Client Identities

    The U.S. can enforce an Internal Revenue Service summons for client information from the Taylor Lohmeyer Law Firm because the firm failed to show attorney-client privilege protected the information, a Texas federal court found.

  9. April 19, 2019

    Law Firm Summons Doesn't Violate Client Privilege, US Argues

    An Internal Revenue Service summons to a law firm for information related to clients who sought legal advice on foreign accounts and entities would not violate attorney-client privilege or violate the clients' confidentiality, the United States argued Thursday.

  10. February 14, 2019

    Taylor Lohmeyer Can't Challenge IRS Summons, US Tells Court

    Taylor Lohmeyer Law Firm PLLC lacks standing to challenge an Internal Revenue Service summons for information related to clients who sought the firm's legal advice about foreign transactions and offshore accounts, the government has told a Texas federal court.

Hello! I'm Law360's automated support bot.

How can I help you today?

For example, you can type:
  • I forgot my password
  • I took a free trial but didn't get a verification email
  • How do I sign up for a newsletter?
Ask a question!