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Joseph T. Gulant

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Joseph T. Gulant

Joseph T. Gulant

Partner
 
Blank Rome LLP
The Chrysler Building, 405 Lexington Avenue
New York, New York  10174
(New York Co.)

Telephone: 212-885-5000
Fax: 212-885-5001
http://www.BlankRome.com



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Practice AreasCorporate Taxation; Federal Income Tax; International Taxation; Tax Deferred Exchanges; Tax Shelters; Taxation
 
EducationNew York Law School, J.D., magna cum laude, 1985; New York University, LL.M., 1986, Emory University, B.B.A., Finance, cum laude, 1982
 
Admitted1985, New York; 1993, Pennsylvania
 
MembershipsPhiladelphia, New York County, Pennsylvania and New York State Bar Associations.
 
BornForest Hills, New York, June 3, 1960
 
Biography(Also at Philadelphia, Pennsylvania Office)
 
ISLN906821884
 

Documents by this lawyer on Martindale.com


Final Regulations and New Guidance Regarding Loan Modifications for REMICs Holding Commercial Mortgage Loans
Joseph T. Gulant, October 20, 2009
On September 15, 2009, the IRS released final regulations and a Revenue Procedure addressing modifications to commercial mortgage loans held by real estate mortgage investment conduits ("REMICs"). The new regulations are designed to "accommodate the evolving practices in the...

Internal Revenue Service Extends FBAR Filing Deadline for Certain U.S. Persons until June 30, 2010
Joseph T. Gulant, Harold N. Pappas, Jennifer Lynn Bell, September 4, 2009
On August 7, 2009, the Internal Revenue Service (the "Service") issued Notice 2009-62, which extends the deadline for filing Form TD F 90-22.1 (Report of Foreign Bank and Financial Accounts, or "FBAR") from September 23, 2009 to June 30, 2010 for two groups of U.S. persons for...

Maryland Tax Court Finds Corporation's Out-of-State Subsidiaries Subject to Maryland Corporate Income Tax
Joseph T. Gulant, Robert P. Harrill, Michael J. Semes, October 19, 2009
The Maryland Tax Court put a gloss on the Maryland Supreme Court's SYL/Crown Cork decision in finding that two subsidiaries of a Maryland taxpayer were subject to Maryland Corporate Income Tax because the subsidiaries lacked economic substance¿even though the subsidiaries conducted no business and...


 

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