Wes serves clients in federal income tax matters, including domestic and international tax planning and transactional matters involving partnerships, limited liability companies and corporations. He advises publicly traded and private corporations, including S corporations, in both taxable and nontaxable mergers and acquisitions. In addition, Wes represents businesses and individuals in federal tax controversies, defending them in IRS audits and matters before the IRS Office of Appeals and the U.S. Tax Court.