Special Counsel (Tax)
Current- Emphasis on Private Equity/Hedge Fund taxation (including real estate) – all aspects- Strong subspecialty in partnership and international taxation- Representative work: partnership reorganizations and leveraged recaps, international acquisitions and dispositions of portfolio companies (including real estate holdco-s); associated treaty and holding company planning; some fund formation and controversy work- Representative docs: LLC and pship agreements, tax opinions, PPMs, lending facilities, IRS Appeals protests- Size of transactions: from $2-3M to over $1BATTORNEY ADVERTISING. Results depend on a number of factors unique to each matter. Prior results do not guarantee a similar outcome.