George H. David graduated
from UCLA with a B.S. in 1967 and with an M.B.A. in 1968 [honors
program]. He became a CPA, licensed in California in 1972
and licensed in Texas a few years later. He graduated from
Loyola Law School in 1974 [Dean's list] and was admitted to
the California Bar in 1975. He is currently admitted before
the U.S. Supreme Court, U. S. Tax Court, U. S. Claims Court,
U. S. Court of Appeals and California and Texas District Courts.
Over the past 25 years,
he has represented a variety of clients ranging from international
public corporations to non-public corporations and many individuals.
He provides representation in a variety of administrative
and tax law matters in various forums ranging from federal
and state courts, government agencies and alternative dispute
resolution forums, such as arbitration and mediation.
Internal Revenue
Code Section 170(a) permits the deduction of the fair
market value of donated art up to 30% of the donor's
adjusted gross income in the year of donation.
MISSION: TO PROVIDE TIMELY LEGAL
ADVICE, FACILITATION AND SUCCESSFUL LEGAL REPRESENTATION TO ACCOMPLISH
DONATIONS OF COLLECTIBLE ART, UNDER INTERNAL REVENUE CODE SECTION
170