Practice Areas - Tax
- Mergers, Acquisitions & Business Ventures
- Corporate
| - Securities & Corporate Governance
- Energy & Energy-Related Practices
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| University | Harvard University, B.A., cum laude, 2004 |
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| Law School | New York University, J.D., 2007 |
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| Admitted | 2008, New York |
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| Biography | Amie is an associate in the New York office of Troutman Sanders. As a member of the firm's tax group, Amie advises on a variety of business-related tax matters including mergers and acquisitions, cross-border investments and operations, securities offerings, and partnership and other pass-through entity issues. She has represented clients in a number of industries, including manufacturing, banking, telecommunications, exploration and development, and real estate.
Publications
Comparing Apples to APPLs: Importing the Doctrine of Adverse Possession in Real Property to Patent Law, 2 NYU J.L. & Liberty 557 (2007).
Other Distinctions
Selected as New York "Rising Star" in Tax by New York Super Lawyer Magazine-Metro Edition (2012).
Work Experience
Associate, Troutman Sanders LLP, 2011-present
Associate, Simpson Thacher & Bartlett LLP, 2007-2011
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| ISLN | 920025589 |
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Documents by this lawyer on Martindale.com | |
Final Section 336(e) Regulations Permit New Deemed Asset Sale ElectionAmie N. Broder,Robert A. Friedman,Mark A. Goldsmith, June 3, 2013 After more than twenty years of waiting for guidance, final Treasury regulations have been issued under Code Section 336(e) that allow taxpayers to elect to treat the sale, exchange, and/or distribution of a corporation’s stock in a subsidiary as a deemed disposition of the subsidiary’s...
Obama Signs ‘American Taxpayer Relief Act’ to Avert Fiscal CliffAmie N. Broder,Amie N. Broder,Robert A. Friedman,Robert A. Friedman,Mark A. Goldsmith,Mark A. Goldsmith, January 4, 2013 On January 2, 2013, President Obama signed the (H.R.8) the “American Taxpayer Relief Act” (the Act), aimed at resolving many of the “fiscal cliff” issues. While the Act would, among other things, increase income taxes for high-income individuals, it would also prevent many...
Inversion May Be More Difficult to AvoidAmie N. Broder,Robert A. Friedman,Mark A. Goldsmith, June 13, 2012 On June 7, 2012, the U.S.Treasury issued revised final and temporary regulations under U.S. Internal Revenue Code of 1986, as amended (Code), § 7874, which governs treatment of certain “inversion transactions” whereby foreign corporations acquire substantially all of the properties... |
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