|
Visibility Rankings  | | #3,508 out of 20,414 lawyers in Los Angeles, California | | #157,182 out of 889,408 total lawyers Overall |
|
|
|
| Practice Areas | Tax Law | | | Peer Review Rating | AV
Rated.
What's this? | | | Education | Hastings College of the Law, University of California, J.D., 1990; New York University, LL.M., in Taxation, 1991, University of California at San Diego, B.A., with distinction, 1986; University of California at Berkeley, M.B.A., 1990 | | | Admitted | 1991, California; 1992, U.S. Tax Court | |
| Memberships | Los Angeles County (Member, Business Law and Taxation Sections) and American (Member, Taxation Section) Bar Associations; The State Bar of California (Member, Business Law and Taxation Sections; Chair, Corporate Tax Committee, 1995-1996; Chair, Partnership and Real Estate Tax Committee, 1996-1997; Member, Taxation Section Executive Committee, 1997-2000). | | | Born | New York, N.Y., November 21, 1961 | | | Biography | Graduate Editor, New York University Tax Law Review, 1990-1991. Listed in the Best Lawyers in America (Woodward/White, 2001). Winner, Arthur Andersen & Company Prize in Tax Law, 1989. Recipient, American Jurisprudence Awards in Criminal Law, Federal Income Taxation and Corporations. Adjunct Professor of Law, University of Southern California Law School (Corporate and Partnership Taxation, 1998—). Lecturer: ALI-ABA's "Creative Tax Planning for Real Estate Transactions," (2000—); Practicing Law Institute's "Real Estate Tax Forum," (1999); University of Southern California Law School's "52nd Annual Institute on Federal Taxation," (2000); New York University's "58th Institute on Federal Taxation," (1999); New York University's "57th Institute on Federal Taxation," (1998); New York University's "56th Institute on Federal Taxation," (1997); University of Southern California Law School's "49th Annual Institute on Federal Taxation," (1997). Author or Co-Author: Article, "Choice of Entity and Equity Compensation: Utilizing the Tax Partnership in a Corporate World," 52 Major Tax Planning (U.S.C. Tax Institute, 2000); Article, "Restructuring a Partnership: Admissions, Redemptions and Book-ups," 58 N.Y.U. Institute on Federal Taxation (2000); Article, "Selected Interactions of the Consolidated Return Regulations and Subchapter K," 2 J. Passthrough Entities (1999); Article, "A Primer on Structuring Taxable Corporate Acquisitions," 57 N.Y.U. Institute on Federal Taxation (1999); Article, "The Use of Partnerships and LLCs in Structuring Consolidated Groups," 56 N.Y.U. Institute on Federal Taxation (1997); Article, "Creative Partnership Exit Strategies," 49 Major Tax Planning (U.S.C. Tax Institute, 1997); State Bar of California Taxation Section Proposal, "'Check the Box' Elective Partnership Taxation and Reduced Cost Entity Conversions: A Proposal for Simplicity and Horizontal Equity," 95 TNT 147-46 (July 28, 1995); Article, "Legislative Proposal on Classification of Workers as Employees or Independent Contractors," 55 Tax Notes 821 (1992); Article, "Classification of Workers as Employees or Independent Contractors: A Proposed Legislative Solution," 10 Am. J. Tax Policy 1 (1992). | | | ISLN | 910270814 | |
|
|