The GrayRobinson tax attorneys have extensive experience in virtually all aspects of tax law, with a focus on the taxation of corporations, partnerships and tax exempt organizations. We advise clients on the most tax-efficient means (while addressing necessary business considerations) of forming operating entities and structuring reorganizations, financing arrangements, acquisitions and dispositions and incentive arrangements.
The conduct of overseas activities by our clients is structured with a focus on minimizing the worldwide taxation of their multinational operations and obtaining the greatest possible tax deferrals. Care is taken to utilize the appropriate type of entity and ownership utilized with respect to the conduct of operations in a particular foreign country. Our tax attorneys ensure that international licensing transactions and the establishment of operations in foreign jurisdictions do not run afoul of U.S. excise or similar taxes relating to the outbound transfer of intangible assets. In addition, our tax attorney, Ruben Gotlieb handles all aspects of international inbounds operations including, but not limited to, creating the correct structure for a non-resident individual’s tax and estate planning with regards to their assets in the U.S., as well as advising on pre-immigration tax and estate planning needs.
Our team of tax attorneys are also closely involved in the design of any employee incentive and similar-type plans. They have extensive experience in representing clients before federal and state tax agencies, whether in revenue examinations or with respect to requests for technical advisements.