Tom Kittle-Kamp is co-leader of Mayer Brown’s Tax Controversy and Transfer Pricing practice. Since joining the firm in 1990, Tom has represented clients in every…
Tom Kittle-Kamp is co-leader of Mayer Brown’s Tax Controversy and Transfer Pricing practice. Since joining the firm in 1990, Tom has represented clients in every phase of tax controversy and litigation—from IRS examinations and administrative appeals, through the litigation, trial and appellate review of highly complex tax controversies running the range of international and domestic tax issues. Tom has particular expertise in the litigation and administrative resolution of large-dollar transfer-pricing matters. As an adjunct to his controversy practice, Tom also advises clients with respect to the planning of related-party transactions. He is co-author of the treatise Federal Income Taxation of Intellectual Properties and Intangible Assets (Thomson Reuters WG&L Tax Series 1997), which is updated twice a year.
Tom has been repeatedly recognized by Chambers USA, Legal 500 and the International Tax ReviewTax Controversy Leaders guide. Chambers USA has described Tom as "extremely confident and persuasive in the courtroom and a pleasure to work with." Chambers USA further describes Tom as "extremely smart and well prepared," "very meticulous in his preparation" and a “very thoughtful practitioner who works well with clients.” Legal 500 has described Tom as "a very rare combination—a subtle courtroom advocate and a real tax expert," as well as “clever, very likeable, unassuming but very impressive in court.”
Tom Kittle-Kamp is co-leader of Mayer Brown’s Tax Controversy and Transfer Pricing practice. Since joining the firm in 1990, Tom has represented clients in every…
Tom Kittle-Kamp is co-leader of Mayer Brown’s Tax Controversy and Transfer Pricing practice. Since joining the firm in 1990, Tom has represented clients in every phase of tax controversy and litigation—from IRS examinations and administrative appeals, through the litigation, trial and appellate review of highly complex tax controversies running the range of international and domestic tax issues. Tom has particular expertise in the litigation and administrative resolution of large-dollar transfer-pricing matters. As an adjunct to his controversy practice, Tom also advises clients with respect to the planning of related-party transactions. He is co-author of the treatise Federal Income Taxation of Intellectual Properties and Intangible Assets (Thomson Reuters WG&L Tax Series 1997), which is updated twice a year.
Tom has been repeatedly recognized by Chambers USA, Legal 500 and the International Tax ReviewTax Controversy Leaders guide. Chambers USA has described Tom as "extremely confident and persuasive in the courtroom and a pleasure to work with." Chambers USA further describes Tom as "extremely smart and well prepared," "very meticulous in his preparation" and a “very thoughtful practitioner who works well with clients.” Legal 500 has described Tom as "a very rare combination—a subtle courtroom advocate and a real tax expert," as well as “clever, very likeable, unassuming but very impressive in court.”