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| University | Touro College, B.A., 1978 |
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| Law School | Columbia University, J.D., 1981; New York University, LL.M., 1986 |
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| Admitted | 1981, New Jersey; 1982, New York; 1984, Florida; U.S. Tax Court; U.S. District Court for the District of New Jersey |
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| Memberships | New York State Bar Association; Association of the Bar of the City of New York. |
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| Born | Queens, New York, September 29, 1956 |
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| Biography | Mark is the practice group leader of the firms' tax practice group and has advised clients for over 30 years as to the tax aspects of mergers and acquisitions, corporate and partnership reorganizations, real estate transactions, partnerships, limited liability company and joint venture transactions, and syndications. He has advised public company, high net worth individuals, private equity funds as well as foreign investors in federal, state and international tax matters. He has represented clients in a number of industries, including energy, real estate, manufacturing, banking, healthcare, and software/technology.
Representative Experience
Counsels clients on joint ventures, partnerships, mergers and acquisitions, workouts, and state and local income and transfer taxes.
Advises on mergers, asset sales and other acquisitions, public and private securities offerings, and other capital transactions.
Publications
Associate Editor, West's McKinneys Forms - Estates and Surrogate Practice Recompilation (1983-1984).
Assistant Tax Editor, Matthew Bender & Company, Inc.
Assistant Tax Editor, New York Practice Guide - Business and Commercial.
Work Experience
Partner, Troutman Sanders LLP, 2005-present
Partner, Jenkens & Gilchrist Parker Chapin LLP, 2002-2005
Partner, Herrick Feinstein LLP, 1984-2002
Associate, Kelley Drye & Warren, 1981-1984
Memberships
· Association of the Bar of the City of New York
· New York State Bar Association
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| ISLN | 907015039 |
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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...
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