- Capital University Law School, J.D., LL.M., Taxation, 1995
- The Ohio State University, B.S., 1990
Bar & Court Admissions
- Admitted to practice law only in the states listed above.
Dave is a partner in the Vorys Columbus office and he leads the firm’s state and local tax group. He has extensive experience with all types of state and local tax issues and in particular, matters involving commercial activity tax, personal income tax, municipal income tax, corporation income/franchise tax, pass-through entity tax, financial institutions tax, real property tax, sales and use tax, trust tax, dealers in intangibles tax, severance tax and unclaimed funds (escheat).
His notable experience includes:
- Representing clients before the Ohio Department of Taxation, the Ohio Board of Tax Appeals, and the Ohio Supreme Court
- Successfully negotiating numerous multi-year, multi-issue, state and local tax settlement agreements
- Advising clients on the Ohio tax implications of mergers, acquisitions, and divestitures including related I.R.C. 338(h)(10) elections
- Advising clients on the CAT’s ultimate destination rule and the Ohio Department of Taxation’s interpretation of same
- Advising clients on Commerce Clause and Due Process Clause challenges to the CAT
- Advising clients on the applicability of the various commercial activity tax exclusions
- Advising foreign companies on audit issues involving the commercial activity tax
- Advising individuals of the application of Ohio’s domicile statute relative to establishing Ohio resident or non-resident filing status
- Advising individuals regarding the application of Ohio Revised Code §5747.212 in connection with the sale of a closely held business
- Advising individuals on the application of the business income deduction to guaranteed payments
- Advising individuals that are nonresidents of Ohio on how to situs wage income from a pass-through entity in which the individual owns at least 20% of such pass-through entity (see Ohio Revised Code 5733.40(A)(7))
- Advising individuals of the Ohio state and local tax implications to exercising stock options
- Advising individuals of the Ohio state and local tax implications of retirement income relative to the application of the Federal Moving Statute
- Advising individuals of the Ohio state and local tax implications of income received pursuant to a separation agreement
- Representing clients on tax audits undertaken by municipal corporations and Regional Income Tax Agency (RITA)
- Representing clients before the Ohio General Assembly in connection with tax legislation under consideration
- Assisted in drafting significant components of Am. Sub. H.B. 510 establishing the Ohio Financial Institutions Tax and repealing the Dealer in Intangibles tax
Dave is a member of the Ohio State Bar Association. He is also a registered lobbyist for the Ohio Council of Retail Merchants.
Dave has lectured on state and local tax topics for the Council on State Taxation (COST), the Tax Executives Institute (TEI), the Ohio Petroleum Marketers and Convenience Store Association, the Ohio Manufacturers Education Council, and private client seminars. He has authored articles for the Journal of State Taxation and the Journal of Taxation and Regulation of Financial Institutions.
Dave received his J.D. and LL.M, Taxation from Capital University Law School and his B.S. from The Ohio State University.
Before joining Vorys, Dave was a senior manager for KPMG, LLP. Before joining KPMG, Dave managed the tax department for Bath & Body Works, Inc.
- Winter 2020On July 26, 2019, Am. H.B. 166 was enacted into law. That law enacted changes to Ohio Revised Code 5726.04.