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General Attorney Tax GS 12-14

Experience
1 yrs required

Location
Washington, DC, United States

Posted on
Nov 08, 2022

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General Attorney (Tax), GS 12-14
Duties: The candidate will receive assignments of the most difficult and complex types of work in one or more of the following functions within the office depending upon the specialty of tax to which assigned - Tax Litigation or General Litigation. Will be assigned cases docketed in the US Tax Court. Duties may include preparation of answers to petitions, replies, motions and any other documents germane to proper handling of the case. Assignment of a case pending in the Tax Court also includes responsibility for ascertaining the legal correctness of the position(s) determined in the statutory notice of deficiency as well as preparation for the case for trial and settlement. Provide legal advice and assistance to the Agency, Independent Offices Appeals and other Division Counsel concerning issues within their area of topical jurisdiction. Research, analyze facts and write legal opinions in response to questions. Review pleadings and file and prepare defense letter to the Department of Justice, Tax Division, setting out the Commissioner's position on defense of a suit involving merits of the tax, etc., including in appropriate cases, discussing the propriety of jurisdiction, any suggested motions that may be appropriate, the particular defense that is recommended and whether or not the case is one that the Department of Justice may settle without further coordination. Furnish advice and opinions to the Agency, the Department of Justice, etc., in any matter (court and non-court) incident to the assessment and collection of taxes. Advises field administrative officers, handles the legal work, and assists the Department of Justice and United States Attorneys in cases involving tax matters. Recommend what suits should be brought or interventions or counterclaims filed by the Government in connection with the collection of internal revenue taxes or the recovery of erroneous refunds thereof and the basis for defense of tax litigation suits against the US.

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