Our tax practice is intensively involved in many of our clients’ business transactions. Our tax practice combines a comprehensive understanding of the intricacies of the tax law with both creativity in formulating solutions to our clients' tax needs and the ability to communicate those solutions in clear and comprehensible language. Whatever the problem, our approach to tax planning is pragmatic.
Domestically, our tax attorneys advise corporations, closely held corporate entities and investors, including private equity, venture capital, and other investment funds in a variety of corporate transactional matters. These transactions include spin-offs, acquisitions and dispositions, and joint ventures. We provide income tax planning to individuals, entrepreneurs, and owners of closely held businesses on matters including choice of entity, capital raising, public and private roll-ups, acquisitions and dispositions, consolidations, planning for initial public offerings, like-kind exchange of business assets, incorporations and buy-sell arrangements among co-owners or investors.
Internationally, the tax practice focuses on tax planning for non-U.S. citizens and enterprises investing in the United States, and for U.S. citizens and enterprises investing abroad. We have considerable experiencing in assisting U.S. businesses wishing to establish a foreign branch or subsidiary, or acquire a foreign company, particularly in the U.K., Gulf region and India.