Her diversified experience includes working on a broad range of structuring and operational issues in a variety of industries and areas. Additionally, she has a strong working knowledge of administrative practice before the IRS.
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Prior to serving in her current position, she served as a member of the partnership taxation group in the National Tax Office of an international accounting firm. Norman Lencz focuses his practice on a broad range of international, federal, state and local tax matters. He advises clients on tax issues relating to corporations, partnerships, limited liability companies, joint ventures, REITs and RICs; tax-free and taxable mergers, acquisitions and spin-offs; compensation planning; installment sales and like-kind exchanges; and real estate development and investment.
He combines innovative thinking, a deep knowledge base and broad experience to provide creative solutions to the tax issues facing his clients. Lencz is an adjunct professor at the Graduate Tax LL.
He also represents clients concerning partnership taxation and other real estate joint venture transactions, and issues concerning real estate investment trusts. He is also regularly consulted by wealthy individuals and entrepreneurs on federal and state income tax matters and federal estate and gift tax issues. As a transactional tax attorney, he works on transactions ranging from small sales transactions to merger or acquisition transactions in the billions of dollars. Similarly, as a tax controversy attorney, he has represented both individual clients in small audit matters and publicly-traded corporate clients in tax disputes with amounts at issue in excess of one billion dollars.
His clients often find his in-depth knowledge and broad experience very helpful in addressing both their everyday tax needs and their most difficult tax problems. His course at Georgetown focuses heavily on the technical tax aspects of partnerships as well as the practical business and tax drafting considerations that arise in partnerships with special partners such as tax-exempt organizations, foreign investors and REITs. Before joining Venable, Mr. His valuable experience and continuing connections with the government, when combined with his significant private practice experience, permit Mr.
Pollack is a frequent lecturer at tax seminars and the author of numerous articles on federal income tax issues. He joined the firm in Based in Washington, D. His practice includes planning, policy and controversy matters. He has extensive experience structuring large partnership and real estate transactions. He is the author of more than professional articles, is a frequent lecturer on tax topics at conferences across the country, and has testified at the invitation of the U.
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House of Representatives Committee on Ways and Means as an expert on tax issues. Department of Treasury. He was deeply involved in the development of the Tax Reform Act of provisions and administrative guidance affecting partnerships and real estate. Bahar Schippel specializes in tax planning for mergers and acquisitions, joint ventures and real estate transactions, drafting LLC and partnership agreements, tax planning in connection with fund formation and operations, structuring tax-efficient debt workouts, designing service provider equity compensation for LLCs and partnerships and representing taxpayers before the Internal Revenue Service.
Bahar frequently speaks at national and regional tax conferences and contributes articles to top-tier tax publications. Steven R. With more than 25 years of broad transactional and structuring experience, Mr. Sloan focuses his tax practice on the use of partnerships and limited liability companies in domestic and cross-border mergers and acquisitions, financing transactions, and restructurings. Sloan has represented four of the largest private equity firms and the two largest privately held companies in the United States, as well as many publicly traded companies. He has substantial experience in the formation of domestic and cross-border joint ventures and acquisitions and dispositions of businesses and interests in joint ventures, including the largest joint venture in the United States and a complex multi-billion dollar cross-border commodities joint venture.
He has also handled restructurings of partnerships, as well as private equity fund structuring and leveraged recapitalizations of private equity portfolio companies. In addition, for more than a decade he was an adjunct professor at Georgetown University Law Center, and he has been a guest lecturer at the Wharton School of the University of Pennsylvania.
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Sloan received his Juris Doctor from the University of Chicago in He also earned an LL. Sloan is a member of the District of Columbia bar and is not yet admitted to the New York bar. He currently practices under the supervision of the Principals of the Firm. Formerly, she was an adjunct professor in the LL. Prior to joining the IRS, Ms. Halpern and for Judge Laurence J. His practice focuses on tax planning for business transactions, including acquisitions and dispositions of businesses, reorganizations, utilizing partnerships and limited liability companies, tax benefits for renewable energy, sophisticated real estate transactions, executive compensation, state and local taxation and audits and tax controversies.
Stef Tucker represents a wide variety of clients, from the entrepreneur and the professional, on the one hand, to publicly traded enterprises, such as real estate investment trusts, on the other hand. His practice encompasses the entire range of subjects from mergers and acquisitions, to entity planning, structuring and formation, to asset protection and preservation, to business transactions, to family business planning and wealth preservation.
In addition, Stef has extensive experience in Federal and state income, estate and gift taxation, including tax audits. His clients look to him to apply his breadth of experience and general knowledge in arriving at solutions to a wide range of business-oriented problems and issues and in structuring complex business arrangements and transactions. They also seek his assistance in connection with their personal financial matters and wealth preservation planning. Lou has practiced tax and business law for more than 40 years.
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He has extensive experience designing and implementing strategies for real estate and business asset acquisitions, transfers, exchanges, leases, financing, work-outs, business start-ups, limited liability companies, partnership and joint venture formations, transactions involving REITs, capital raising through placement of partnership interests and stock, as well as counseling clients on achieving business and personal tax planning objectives.
He also owned and for more than 20 years operated a like kind exchange qualified intermediary business. Lou graduated cum laude with a B. He was admitted to the California Bar in He lives in Tiburon, California and has one daughter, currently attending college. She has substantial experience in sophisticated tax planning involving the use of partnerships, including in the dispositions and acquisitions of real estate and operating businesses, complex partnership transactions, real estate investment trust REIT tax status and tax structured dispositions of real estate involving REITs, corporate acquisitions and mergers, corporations and structuring private REITs.
Andrea advises on forward and reverse like-kind exchanges and exchanges of tenancy in common interests in real estate. Andrea has been listed in the to editions of The Best Lawyers in America in the area of tax law and has also been selected as a fellow of the American College of Tax Counsel. Washingtonian Magazine named her as one of the top lawyers in Washington, D.
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Andrea is also recognized in Washington D. Super Lawyers. Andrea is an active member of Urban Land Institute. Mark E. ACTC is a nonprofit professional association of tax lawyers in private practice, in law school teaching positions and in government who are recognized for their excellence in tax practice and for their substantial contributions and commitment to the profession.
Mark also has experience settling New York State and City residency audits and advising clients on New York State and City real estate transfer tax, mortgage recording tax, and sales taxes. Mark was honored by the Tax Section as a Nolan Fellow in Mark brings a sense of humor to the table. Mark and his wife Aysen keep busy raising their lovable domestic shorthair cats, Findik, Fistik, and Badik.
A certified public accountant, Williamson is a frequent lecturer to professional groups throughout the United States, and has held teaching appointments in Europe and China. He has published over 50 articles in professional and academic journals and was recognized by the Bureau of National Affairs as its outstanding author for Brent R. Brent was president of the American Payroll Association for the term.
Fred A. Basehore, Jr. Her payroll experience includes work in hospitality, airlines, and aerospace and defense. Barbara most recently was with Equifax Workforce Solutions, and prior to that, her role at Northrop Grumman Corporation involved managing global payroll and implementations.
Rosen has held executive tax management positions at Xerox Corp. He has represented clients in all stages of tax controversies in dozens of jurisdictions nationwide. Although most of his success for clients occurs behind the scenes at the administrative level, Jeremy has litigated numerous cases in state and federal courts and filed petitions for certiorari and amicus curiae briefs for clients in the Supreme Court of the United States.
Vasquez of the United States Tax Court.
His primary responsibilities at KPMG include working to establish and improve business relationships with state taxing authorities, assisting clients in working with state tax agencies, and keeping clients and firm members abreast of current developments. Prior to joining KPMG in July , Harley spent the previous 20 years as executive director of the Federation of Tax Administrators, the association representing the principal state revenue collection agencies in each of the 50 states, Washington, DC, and New York City. He also served five years as secretary of the Kansas Department of Revenue.
Prior to that, Harley was the assistant director of the Kansas Division of the Budget. Bruce P. He is the co-chair of their SALT Practice Group, which involves choice of entity, state and local tax planning, mergers and acquisitions, and state and federal tax disputes.
Craig B. His practice focuses on litigation and planning relating to state and local tax matters.
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