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HomeCompaniesUs Associatecareers Lw Icims ComAssociate - Tax - Tax Controversy

Associate - Tax - Tax Controversy

Us Associatecareers Lw Icims Com · Boston, MA, US; Chicago, IL, US; New York, NY, US; Washington, D.C., DC, US · Active · $500–$225,000 / year · iCIMS

Job facts

FieldValue
CompanyUs Associatecareers Lw Icims Com
TitleAssociate - Tax - Tax Controversy
Normalized title-
Department / team-
LocationBoston, MA, United States
Work model-
Employment typeOTHER
Salary$500–$225,000 / year
Statusactive
ATS provideriCIMS
Posted / first seen2026-05-21 / 2026-05-31
Changed / last seen2026-06-06 / 2026-06-06

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PageWhat it containsOpen
Company jobsActive postings from Us Associatecareers Lw Icims Com.Open
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City jobsActive postings in Boston.Open
Lifecycle eventsOpen, update, close, and reopen events for this posting.Open
Original postingCanonical source or apply URL captured from the ATS.Open

Linked records

CompanyUs Associatecareers Lw Icims Com
Sourcef8277c86-2b8a-42c3-8fa3-3689e8369683
ATS provideriCIMS

Description

About Latham & Watkins Latham & Watkins is one of the world’s leading global law firms advising the businesses and institutions that drive the global economy. We are the market leaders in major financial and business centers globally and offer unmatched expertise and resources to help you grow from an intellectually curious self-starter into an exceptional lawyer. If you aspire to be the best, this is where you belong. About the Practice Group Latham’s tax controversy lawyers help US and multinational companies, tax-exempt organizations, and global high wealth individuals resolve complex contentious tax matters. From large-dollar US and cross-border corporate tax disputes to economic substance and promoter cases, to sensitive allegations of fraud, Latham regularly delivers extraordinary results both in and out of the courtroom. We advise clients on complex tax issues at every stage of a US federal, state, local, or cross-border tax controversy matter, and in every venue where US tax disputes are litigated. In the context of transactions, we identify and manage actual or potential tax controversies before they arise. When issues do arise, we draw on our experience in government at the IRS and US Department of Justice Tax Division and our strong working relationships with US tax authorities to minimize the scope of disputes and work to resolve them quickly and in a cost-effective manner. For disputes that proceed to litigation, we leverage our sophisticated knowledge of the substantive, procedural, and evidentiary rules to win at summary judgment and at trial. We frequently team with Latham’s highly regarded Supreme Court & Appellate Practice, which has a rich history of notable tax appeal victories. We regularly represent clients in controversies related to: International and domestic corporate income tax issues, including transfer pricing Partnership tax issues Employment tax and employee benefits issues Excise tax issues State and local tax issues Information gathering by tax authorities Sensitive tax matters, including: Penalty defense Whistleblowing defense Investigations for non-compliance Efforts to self-report and correct errors in compliance About the Role The Tax Controversy practice group is seeking to add highly qualified associates with a minimum of 2 years of experience in complex tax disputes, including corporate, partnership, transfer pricing, international tax, SALT, and criminal tax matters, to join our 2nd through 5th year associate classes. The practice group advises clients on complex tax issues at every stage of a US federal, state, local, or cross-border tax controversy matter, and in every venue where US tax disputes are litigated. In the context of transactions, the group identifies and manages actual or potential tax controversies before they arise. When issues do arise, they draw on our experience in government at the IRS and US Department of Justice Tax Division and our strong working relationships with US tax authorities to minimize the scope of disputes and work to resolve them quickly and in a cost-effective manner. For disputes that proceed to litigation, the practice group frequently team with Latham’s highly regarded Supreme Court & Appellate Practice, which has a rich history of notable tax appeal victories. ***Please note that submissions for this search will not be accepted without a writing sample. Main Contact Details [email protected] [email protected] Additional Information Investing in the well-being of our lawyers and staff is among the firm’s highest priorities. Through our “LiveWell Latham” program, we offer best-in-class benefits and comprehensive resources designed to support you and your loved ones through all life’s moments — from building a family and taking care of loved ones, to managing your health and saving for the future. Latham & Watkins is an equal opportunity employer. The Firm prohibits discrimination against any employee or applicant for employment on the basis of race (including, but not limited to, hair texture and protective hairstyles), color, religion, sex, age, national origin, sexual orientation, gender identity, veteran status (including veterans of the Vietnam era), gender expression, marital status, or any other characteristic or condition protected by applicable statute. We periodically provide demographic data to legal publications, bar associations, civic and community organizations, and in some instances, to local, state, and federal government agencies as required by law or contract. So that the firm can provide this information accurately, we request that you consider self-identifying. Please click here to review your rights under U.S. employment laws. In accordance with Latham & Watkins policies, associates in this role must protect and maintain any highly sensitive, confidential, privileged, financial and/or proprietary information that Latham & Watkins retains either as part of the legal services the Firm provides to clients or for internal purposes. Los Angeles: Latham & Watkins LLP will consider qualified applicants with criminal histories in a manner consistent with the City of Los Angeles Fair Chance Initiative for Hiring Ordinance (FCIHO). Please click the link above to review the Ordinance. San Francisco: Pursuant to the San Francisco Fair Chance Ordinance, we will consider for employment qualified applicants with arrest and conviction records. Please click the link above to review the Ordinance. Massachusetts: It is unlawful in Massachusetts to require or administer a lie detector test as a condition of employment or continued employment. An employer who violates this law shall be subject to criminal penalties and civil liability. An employer that violates this law may be subject to fines and/or a private right of action for $500 in statutory damages “for each such violation,” among other things. Pay Range Associate Base Salary Discretionary bonuses may be available depending on application circumstances and position. Class of US Payroll 2026 $225,000 2025 $225,000 2024 $235,000 2023 $260,000 2022 $310,000 2021 $365,000 2020 $390,000 2019 $420,000 2018 $435,000

Full job record

Job ID5c933dabfd5b64fbf9705feadf37f43695574bf0
Org ID16c13c5a-1d09-4a31-8749-c1f7c4124f8d
Source IDf8277c86-2b8a-42c3-8fa3-3689e8369683
Board IDf8277c86-2b8a-42c3-8fa3-3689e8369683
Providericims
Provider Job Key6774
TitleAssociate - Tax - Tax Controversy
Normalized Title
Statusactive
Activeyes
Location TextBoston, MA, US; Chicago, IL, US; New York, NY, US; Washington, D.C., DC, US
Department
Team
Employment TypeOTHER
Workplace Type
Remote Policy
CountryUnited States
RegionMA
CityBoston
Salary RawAbout Latham & Watkins Latham & Watkins is one of the world’s leading global law firms advising the businesses and institutions that drive the global economy. We are the market leaders in major financial and business centers globally and offer unmatched expertise and resources to help you grow from an intellectually curious self-starter into an exceptional lawyer. If you aspire to be the best, this is where you belong. About the Practice Group Latham’s tax controversy lawyers help US and multinational companies, tax-exempt organizations, and global high wealth individuals resolve complex contentious tax matters. From large-dollar US and cross-border corporate tax disputes to economic substance and promoter cases, to sensitive allegations of fraud, Latham regularly delivers extraordinary results both in and out of the courtroom. We advise clients on complex tax issues at every stage of a US federal, state, local, or cross-border tax controversy matter, and in every venue where US tax disputes are litigated. In the context of transactions, we identify and manage actual or potential tax controversies before they arise. When issues do arise, we draw on our experience in government at the IRS and US Department of Justice Tax Division and our strong working relationships with US tax authorities to minimize the scope of disputes and work to resolve them quickly and in a cost-effective manner. For disputes that proceed to litigation, we leverage our sophisticated knowledge of the substantive, procedural, and evidentiary rules to win at summary judgment and at trial. We frequently team with Latham’s highly regarded Supreme Court & Appellate Practice, which has a rich history of notable tax appeal victories. We regularly represent clients in controversies related to: International and domestic corporate income tax issues, including transfer pricing Partnership tax issues Employment tax and employee benefits issues Excise tax issues State and local tax issues Information gathering by tax authorities Sensitive tax matters, including: Penalty defense Whistleblowing defense Investigations for non-compliance Efforts to self-report and correct errors in compliance About the Role The Tax Controversy practice group is seeking to add highly qualified associates with a minimum of 2 years of experience in complex tax disputes, including corporate, partnership, transfer pricing, international tax, SALT, and criminal tax matters, to join our 2nd through 5th year associate classes. The practice group advises clients on complex tax issues at every stage of a US federal, state, local, or cross-border tax controversy matter, and in every venue where US tax disputes are litigated. In the context of transactions, the group identifies and manages actual or potential tax controversies before they arise. When issues do arise, they draw on our experience in government at the IRS and US Department of Justice Tax Division and our strong working relationships with US tax authorities to minimize the scope of disputes and work to resolve them quickly and in a cost-effective manner. For disputes that proceed to litigation, the practice group frequently team with Latham’s highly regarded Supreme Court & Appellate Practice, which has a rich history of notable tax appeal victories. ***Please note that submissions for this search will not be accepted without a writing sample. Main Contact Details [email protected] [email protected] Additional Information Investing in the well-being of our lawyers and staff is among the firm’s highest priorities. Through our “LiveWell Latham” program, we offer best-in-class benefits and comprehensive resources designed to support you and your loved ones through all life’s moments — from building a family and taking care of loved ones, to managing your health and saving for the future. Latham & Watkins is an equal opportunity employer. The Firm prohibits discrimination against any employee or applicant for employment on the basis of race (including, but not limited to, hair texture and protective hairstyles), color, religion, sex, age, national origin, sexual orientation, gender identity, veteran status (including veterans of the Vietnam era), gender expression, marital status, or any other characteristic or condition protected by applicable statute. We periodically provide demographic data to legal publications, bar associations, civic and community organizations, and in some instances, to local, state, and federal government agencies as required by law or contract. So that the firm can provide this information accurately, we request that you consider self-identifying. Please click here to review your rights under U.S. employment laws. In accordance with Latham & Watkins policies, associates in this role must protect and maintain any highly sensitive, confidential, privileged, financial and/or proprietary information that Latham & Watkins retains either as part of the legal services the Firm provides to clients or for internal purposes. Los Angeles: Latham & Watkins LLP will consider qualified applicants with criminal histories in a manner consistent with the City of Los Angeles Fair Chance Initiative for Hiring Ordinance (FCIHO). Please click the link above to review the Ordinance. San Francisco: Pursuant to the San Francisco Fair Chance Ordinance, we will consider for employment qualified applicants with arrest and conviction records. Please click the link above to review the Ordinance. Massachusetts: It is unlawful in Massachusetts to require or administer a lie detector test as a condition of employment or continued employment. An employer who violates this law shall be subject to criminal penalties and civil liability. An employer that violates this law may be subject to fines and/or a private right of action for $500 in statutory damages “for each such violation,” among other things. Pay Range Associate Base Salary Discretionary bonuses may be available depending on application circumstances and position. Class of US Payroll 2026 $225,000 2025 $225,000 2024 $235,000 2023 $260,000 2022 $310,000 2021 $365,000 2020 $390,000 2019 $420,000 2018 $435,000
Salary Min500
Salary Max225,000
Salary CurrencyUSD
Salary Periodyear
Source URLhttps://us-associatecareers-lw.icims.com/jobs/6774/associate---tax---tax-controversy/job
Apply URLhttps://us-associatecareers-lw.icims.com/jobs/6774/associate---tax---tax-controversy/job
First Seen At2026-05-31 18:48:52Z
Last Seen At2026-06-06 08:40:14Z
Last Checked At2026-06-06 08:40:14Z
Last Changed At2026-06-06 08:40:14Z
Inactive At
Source Posted At2026-05-21 04:00:00Z
Source Updated At2026-06-05 15:56:20Z
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