Our Tax practice centers on planning and compliance for a wide range of federal, state, and local tax matters, including the structuring and reorganization of multi-entity structures; corporate and real estate acquisitions, reorganizations, and dispositions; executive compensation and employee benefits such as qualified plans and equity incentive arrangements; tax exempt entities; and income, estate, gift and generation-skipping tax planning for individuals. We have significant experience in federal and state tax controversies from the 1980s to the present, even providing counsel in sensitive cases involving tax shelters, drug trafficking, money laundering and other high-profile issues.
The firm represents clients in connection with audits, appeals, and collection matters before the Internal Revenue Service and the Department of Revenue. We regularly represent foreign persons regarding their U.S. investments. A large share of our tax practice involves structuring for joint ventures and related partnership tax, of which a significant portion concerns real estate. We are also regularly engaged with Section 1031 exchanges and their various permutations.
We work with individuals and businesses to find creative solutions for tax issues.
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