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Prior
to focusing on class actions, Mr. Krislov's practice
focused on litigation of major federal tax disputes.
See, e.g., Caterpillar Tractor Co.
v. United States, 589 F.2d 1030 (7th Cir. 1978)
(interplay of Domestic International Sales Corporation
and Western Hemisphere Trade Company export provisions);
Estate of Jenner Commissioner, T.C. Memo 1977-54
(U.S. Tax Ct. 1977), rev'd on different grounds
577 F.2d 1100 (7th Cir. 1978) (pre-underwriting valuation
of largest block of shares of closed-end investment
company and permitting deduction of underwriting commission
for Estate Tax and Estate Income Tax). See also
Matter of Grand Jury Subpoena Duces Tecum, 725
F.2d 1110 (7th Cir. 1984) (establishing invalidity of
subpoenas issued by U.S. Attorneys without Grand Jury
authorization). Flowing from that, Krislov & Associates
is currently engaged in a case recognized as having
enormous significance in the future nationwide conduct
of the municipal bond market and challenging discriminatory
state income taxation of only foreign-state municipal
income. Shaper v. Tracy, 97 Ohio App. 3d 760
(1994), cert. denied, 116 S. Ct. 274 (1995);
Shaper v. Tracy, 76 Ohio St. 3d 241, 667 N.E.
2d 368 (1996) cert. to be filed.


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