Our Tax practice combines a precise understanding of complex and evolving tax law with creativity in formulating proposed transactions and solving tax problems.  Our Tax practice advises clients on mergers, acquisitions and joint ventures, venture capital investments, corporate restructurings and bankruptcies, licensing transactions, investment partnerships and funds, project and lease financings, real estate transactions, cross-border direct investments, derivatives and structured finance.   

Our Tax practice is actively involved in providing advice on corporate reorganizations, including tax-free mergers, triangular mergers and other merger transactions, as well as advice on the best use of net operating loss carryovers and other tax attributes in the context of reorganizations

Our Tax practice supports our Firm's Venture Capital attorneys by providing advice in connection with corporate and limited liability company structuring, equity incentive plans, convertible debt offerings and exchanges, preferred stock recapitalizations and related issues. 

 


Many of our clients’ transactions have international tax aspects.  Our Tax practice provides such clients with advice regarding tax consequences under applicable tax treaties and other issues which include withholding questions, transfer pricing issues, foreign tax credit planning, and U.S. tax aspects of international reorganizations. 

Since tax considerations cut across virtually all lines of the firm’s practice, our Tax practice is intensively involved in a large number of the firm’s business transactions.


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