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Advise family as to Iranian asset control rules.
Assist Swiss financial institution in the preparation of
training materials dealing with U.S. taxation.
Advise “Accidental American” as to catching up with the
filing of U.S. tax returns and FBAR reports and renunciation
of U.S. citizenship.
Advise family as to structuring of receipt of a large
payment pursuant to a lawsuit.
Advise songwriter as to sale of library of self-created
works.
Advise U.S. individual as to U.S. and U.K. tax and related rules
applicable to his work in the U.K.
Assist French firm to advise Middle Eastern client as to
holdings in a number of countries.
Advise estate of U.S. woman who died in Rome with significant
holdings in Italy and the U.S.
Advise dual U.S. and French national as to U.S. tax and
reporting issues.
Advise U.S. entrepreneur as to U.S. taxation of European trading
companies.
Advise Swiss national as to U.S. estate tax implications of
holding shares in a U.S. real property holding company.
Advise Washington, D.C.-based diplomat on issues related to
his investment in U.S. assets.
Advise start-up business with
operations in Mexico and investors and operational personnel
in the U.S., the U.K. and Bermuda. Advise U.S. Fortune 50
company as to back-filing of Foreign Bank Account Reports
for over 50 foreign subsidiaries.
Advise U.S. individual
working in Europe as to deferral of U.S. tax under new section
409A rules applicable to nonqualified deferred compensation
trusts. Advise South American Embassy in Washington, D.C. and estate of
famous poet with respect to the return of manuscripts,
letters, copyrights, and other materials to the poet's
country of birth. Represent a newly-independent southeast
European country in establishing its chancery in
Washington, D.C. We had previously helped with the
acquisition of the property and structuring the ownership of
the property prior to the recognition of the government by
the U.S. government.
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