Morgan Lewis
Photo of  Miriam L. Fisher

Bar Admissions

  • District of Columbia
  • Maryland

Court Admissions

  • U.S. Tax Court
  • U.S. District Court for the District of Maryland
  • U.S. Court of Federal Claims
  • U.S. Courts of Appeals for the Second, Third, and Fourth Circuits
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Miriam L. Fisher

Washington, D.C.
1111 Pennsylvania Ave., NW
Washington, DC 20004-2541
Phone: 202.739.5489
Fax: 202.739.3001

12 Publications Found
Date Title Publication
10/18/1110/18/11 IRS Creates New Voluntary Classification Settlement Program Providing Companies the Opportunity to Reclassify Independent Contractors and Limit Liability

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Tax LawFlash
03/08/1003/08/10 Update to IRS Wants a Roadmap: IRS Announces Draft Schedule Coming in April for 2010 Tax Year

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Tax LawFlash
05/24/0505/24/05 United States Supreme Court Holds that Criminal Wire Fraud Statute Encompasses Schemes to Violate Foreign Law

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Litigation LawFlash
03/14/05March 2005 Long Term Capital Holdings v. United States: The End of Penalty Protection?

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White Paper
01/01/9901/01/99 The Innocent Spouse Claim: New Rules and Strategies, presented at the 1999 National CLE Conference, Vail, CO


Speech
11/01/98November 1998 Independent Contractors and the National Labor Relations Act, The Metropolitan Corporate Counsel


Article
04/01/9804/01/98 Burden of Proof in the Tax Court, presented at Georgetown University Law Center CLE Program, Washington, D.C.


Speech
01/01/981998 The Taxpayer Relief Act of 1997: Compliance and Tax Litigation, (ABA Section), Taxation and the American Law Institute-American Bar Association Committee on Continuing Professional Education


Chapter
01/29/9701/29/97 Employee/Independent Contractors: How to Deal With the IRS, presented at the ML&B Labor and Employment Law Seminar, Los Angeles


Speech
12/01/96December 1996 Civil Tax Penalties Failure to File, Failure to Pay and The Estimated Tax Penalties, American Bar Association Handbook


Chapter
02/09/9602/09/96 Justices Limit Late Filers' Access to Tax Court Refunds in Lundy Case, Tax Management IRS Practice & Policy Bulletin


Article
09/08/9509/08/95 High Court to Consider Limitations on Access to Refunds in Tax Court, IRS Practice & Policy Tax Management Bulletin, Vol. 5, No. 12


Article