Moses & Singer's Tax law practice extends to all principal areas of tax law, at the state, federal and international levels. The tax group handles matters for large and small corporations, partnerships, limited liability companies, and individuals and works closely with the firm's other practice groups to provide tax planning and advice as well as represent clients in tax controversies at the administrative and judicial levels. We aggressively defend against claims made by the IRS and state tax agencies.
Acquisitions and Sales
Our attorneys review the tax aspects of corporate, partnership and limited liability company acquisitions and sales, ranging from multi-tiered leveraged transactions to Subchapter S problems of large closely-held corporations, and assist in the structuring of these often complex transactions on behalf of lenders, investors, management, partners and shareholders.
Partnerships and Limited Liability
Moses & Singer advises numerous partnerships and limited liability companies (LLCs) with respect to the tax aspects of virtually every conceivable type of transaction and venture, with special emphasis on income tax allocations and on the use of these vehicles for income, estate and gift tax planning purposes. We engage in tax planning, structuring and counseling for foreign investment in the United States and for American investment activities abroad, including structuring investments and tax disclosure issues.
Employee Benefits and ERISA
Moses & Singer is involved in the design, planning and implementation of employee benefit and executive compensation programs and leveraged employee stock ownership plans in connection with shareholder buyouts. We furnish ERISA counseling and guidance to institutional administrators of qualified plans of large corporate sponsors.
Oil and Gas
We have been very active in this sector, advising clients in connection with their oil and gas operating and investment activities. The tax group participates in structuring operating arrangements and joint ventures and also advises financial institutions with respect to oil and gas transactions.
Bankruptcy and Workouts
The tax group advises clients in connection with the broad range of tax problems that affect financially troubled companies and real estate entities. These include restructurings through debt exchanges and corporate and partnership bankruptcy tax planning focusing on the retention of net operating loss carryovers and minimizing taxable income as a result of debt cancellation. Our attorneys also evaluate the tax consequences to debtor and creditor interests of reorganization plans as presented in bankruptcy court.
International Representation
Moses & Singer provides guidance on all matters related to international taxation be it planning strategies, creation of advantageous taxation structures or defense from claims made by taxation agencies. We offer representation to those clients affected by the IRS’ Offshore Voluntary Disclosure Initiative. In addition, we provide counseling to domestic and foreign persons engaged in offshore business activities.
For more information please contact us.
Prior results do not guarantee a similar outcome.
Moses & Singer's Tax law practice extends to all principal areas of tax law, at the state, federal and international levels. The tax group handles matters for large and small corporations, partnerships, limited liability companies, and individuals and works closely with the firm's other practice groups to provide tax planning and advice as well as represent clients in tax controversies at the administrative and judicial levels. We aggressively defend against claims made by the IRS and state tax agencies.
Acquisitions and Sales
Our attorneys review the tax aspects of corporate, partnership and limited liability company acquisitions and sales, ranging from multi-tiered leveraged transactions to Subchapter S problems of large closely-held corporations, and assist in the structuring of these often complex transactions on behalf of lenders, investors, management, partners and shareholders.
Partnerships and Limited Liability
Moses & Singer advises numerous partnerships and limited liability companies (LLCs) with respect to the tax aspects of virtually every conceivable type of transaction and venture, with special emphasis on income tax allocations and on the use of these vehicles for income, estate and gift tax planning purposes. We engage in tax planning, structuring and counseling for foreign investment in the United States and for American investment activities abroad, including structuring investments and tax disclosure issues.
Employee Benefits and ERISA
Moses & Singer is involved in the design, planning and implementation of employee benefit and executive compensation programs and leveraged employee stock ownership plans in connection with shareholder buyouts. We furnish ERISA counseling and guidance to institutional administrators of qualified plans of large corporate sponsors.
Oil and Gas
We have been very active in this sector, advising clients in connection with their oil and gas operating and investment activities. The tax group participates in structuring operating arrangements and joint ventures and also advises financial institutions with respect to oil and gas transactions.
Bankruptcy and Workouts
The tax group advises clients in connection with the broad range of tax problems that affect financially troubled companies and real estate entities. These include restructurings through debt exchanges and corporate and partnership bankruptcy tax planning focusing on the retention of net operating loss carryovers and minimizing taxable income as a result of debt cancellation. Our attorneys also evaluate the tax consequences to debtor and creditor interests of reorganization plans as presented in bankruptcy court.
International Representation
Moses & Singer provides guidance on all matters related to international taxation be it planning strategies, creation of advantageous taxation structures or defense from claims made by taxation agencies. We offer representation to those clients affected by the IRS’ Offshore Voluntary Disclosure Initiative. In addition, we provide counseling to domestic and foreign persons engaged in offshore business activities.
For more information please contact us.
Prior results do not guarantee a similar outcome.
Partner
Of Counsel
- IRS Issues Notice Denying Deductions for Expenses Paid with PPP Loans
- CARES Act Enacted
- IRS Releases Proposed Regulations on Qualified Opportunity Zones
- Averting State Estate Taxes, Transferring Digital Assets, and the Portability Election
- Tax Court Weighs in on Using Individual Retirement Accounts to Buy a Business
- IRS Announces Third Offshore Voluntary Disclosure Initiative
- NYS Sales Tax: A Personal Liability Trap And A Limited Safe Harbor
- Wedded Bliss
- Deadline for Taxpayers with Foreign Accounts
- An IRS Trap for the Unwary: Severance Pay and Releases
- Getting Personal: Asset Protection Booms Amid Economic Woes
- Tax-Free Life Insurance: An Untapped Investment for the Affluent
- Tax Issues When Social Clubs Liquidate and Sell Property
- June 30 Deadline for Foreign Bank and Financial Accounts Reporting
- Tax Incentives for Businesses
- Is the Holiday Over for Estate Planning?
- December 31, 2008 Section 409A Compliance Deadline Approaches