International Tax

 

We routinely advise U.S. taxpayers with operations and investments in foreign countries and foreign taxpayers with operations and investments in the United States.  Some of the issues for which we regularly advise clients include acquisitions, dispositions and restructurings, joint ventures, use of hybrid structures, dual consolidated losses, foreign investment in real property, anti-deferral regimes, income sourcing, foreign tax credits, allocations and apportionment, foreign currency transactions, income tax treaties, withholding tax regimes, and advice on transfer pricing issues.