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Danielle M. Weiner (04/18/14)

Danielle M. Weiner is an Associate in the Tax & Private Clients Department of Kaye Scholer. Danielle advises individuals and families on the preservation, transfer and management of wealth, charitable giving and business succession planning. Additionally, her practice focuses on tax-exempt organizations, cross-border asset protection, tax compliance and reporting matters. She is admitted to the New York State Bar and Massachusetts Bar.

Dr. Martin Weger (04/17/14)

Dr. Martin Weger ist Partner bei Kaye Scholer und leitet die deutsche Praxisgruppe Steuerrecht. Er ist vornehmlich in den Bereichen Steuerrecht, Corporate Finance und M&A tätig.

FATCA Compliance for Entities Issuing Collateralized Loan/Debt Obligations (04/15/14)

Highlights of the New York Nonprofit Revitalization Act of 2013 (04/14/14)

Jesch über Fondsdokumentation (04/07/14)

Willys H. Schneider (04/07/14)

Willys Schneider is a Partner at Kaye Scholer, focusing on tax law. Her practice is broad-based, covering tax issues relating to mergers and acquisitions; formation and operation of REITs, partnerships and limited liability companies; structured finance and securitization; formation of private equity funds; and cross-border transactions. Willys also advises a number of charitable and other tax exempt institutions and currently serves on Kaye Scholer’s Pro Bono Committee. Willys is a member of the Board of Directors of each of the International Tax Institute and Poets & Writers. She currently serves as Director of Legal and Tax Information of the Association of Foreign Investors in Real Estate (AFIRE) and is a member of AFIRE’s Executive Committee. She has also served as an Articles Editor of The Tax Lawyer, the quarterly journal of the Section of Taxation of the American Bar Association.

Dr. Thomas A. Jesch Co-Autor von Beitrag zur US-FATCA-Gesetzgebung in Die Aktiengesellschaft (04/04/14)

David Hirsberg (03/28/14)

David Hirsberg is a Partner in the firm’s Tax and Private Clients Group. David’s practice focuses on international tax and succession planning for high net-worth families with family members or financial interests in multiple jurisdictions as well as the financial institutions serving that sector of the market. In advising families, David is heavily involved in foreign grantor trust planning, addressing the myriad of issues commonly encountered with foreign nongrantor trusts and underlying holding vehicles, US inbound/outbound investment structuring, and US pre-immigration and expatriation planning. David also regularly advises on the qualified intermediary rules as well as FATCA.

Dr. Felix Haug (03/28/14)

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