Areas of Practice
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We advise our clients on a broad range of matters involving the acquisition, disposition (including tax favorable dispositions such as Section 1031 exchanges), joint venturing, financing and leasing (office, retail and commercial including triple net leases) of residential and commercial properties. Our clients include buyers and sellers, landlords and tenants, borrowers and non-institutional lenders. Our experience allows us to successfully negotiate and prepare all relevant documentation.
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We provide ongoing counsel to our business clients including those conceiving and implementing new ventures. We advise as to choice of entity and the negotiation of agreements among equity holders such as operating and shareholders agreements. We pride ourselves on our ability to draft even the most complex of these agreements as well as our ability to negotiate and prepare ordinary course agreements such as consulting and employment agreements, joint venture agreements and purchase and sale agreements. We also successfully advise, counsel and document transactions relating to the ultimate disposition of business interests including third party transactions and inter-generational transfers.
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The domestic component to our transactional tax practice focuses upon identifying and solving individual, pass-through entity (partnership, limited liability companies and S corporations) and C corporation tax issues. Because our client base is broad and diverse, our practice is diverse. We provide sophisticated tax planning advice to our clients from the formation of their entities (including choice of entity tax considerations) to their joint-ventures, agreements, structuring of their business operations and evaluation of alternatives, and acquisitions and dispositions of businesses and real property, including via tax-free reorganizations and Internal Revenue Code Sec. 1031 exchanges and Qualified Opportunity Zone investments. We represent clients in a broad set of industries, ranging from the garment and home goods industry, hospitality and restaurant industry to real estate, distressed debt and many others.
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To serve our clients’ global businesses, our practice delves into most all aspects of International Taxation, including tax issues and structuring considerations arising under the Subpart F, GILTI, FDII and PFIC regimes, creating structured designed to enable our clients to repatriate monies earned overseas in a tax advantageous manner, and creating foreign tax structures designed to derive benefits from one or more International Tax Treaties. Our international tax practice focuses upon both Outbound structuring issues (U.S. persons who, either directly or through their entities, invest abroad) and Inbound structuring issues (foreign persons who invest or otherwise earn income from U.S. or who are planning to become U.S. persons).
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Coming soon.