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The Use-of-Money Principle: A Conceptual Framework and Unanswered Questions, in progress
Don't Leave Money on The Table! IRS [Mis]Computation of Interest, Texas Tax Lawyer, Winter 2015
Have You Ever Read a Regulation That Could Be Improved?, Texas Tax Lawyer, Winter 2015
Loving: Who Can The IRS Regulate?, Law360.com (Tax), December 2013
How STARS Cases Apply Economic Substance Doctrine (with Lee Meyercord), Law360.com (Tax), November 2013
IRS Gets Too Much Time To Go After Transferred Assets (with Paul Yin), Law360.com (Tax), November 2013
Tax Court Finds STARS Transaction Lacks Economic Substance (with Lee Meyercord), Texas Tax Lawyer, Spring 2013
The Tax Court Pro Bono Program, Texas Tax Lawyer, Winter 2013
Navigating TEFRA Partnership Audits in Multi-Tiered Entity Structures (with Mary McNulty and Lee Meyercord), Business Entities, January/February 2013
TEFRA-Partnership Refunds: Five Steps to Protect a Partner’s Rights (with Mary McNulty and Carla Crapster), Business Entities, January/February 2011
Much Uncertainty About Uncertain Tax Positions, Texas Tax Lawyer, May 2010
Surviving IRS Examination and Appeals (with Emily Parker), Corporate Counsel Review, November 2006
Computing Interest on Overpayments and Underpayments: How Difficult Can It Be? Very! (with Mary McNulty, David Boucher, and Joseph Incorvaia), 102 Journal of Taxation 273, May 2005
Tax Shelter Disclosure and Penalties: New Requirements, New Exposures (with Mary McNulty), Journal of Taxation and Regulation of Financial Institutions, January/February 2005
Indian Tribes, Civil Rights, and Federal Courts, 7 Tex. Wesleyan L. Rev. 119 (2001)
Prosecuting Conduit Campaign Contributions — Hard Time for Soft Money, 42 S. Tex. L. Rev. 841 (2001)