RSS Feed - Cross-Border/International - Kaye Scholer LLP
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Dr. Martin Weger (04/30/13)
Dr. Martin Weger is a Co-Managing Partner of the firm’s Frankfurt office and heads the German tax practice. He primarily focuses on tax law, corporate finance and M&A.
Matthew N. Turko (04/09/13)
Matthew N. Turko is a member of the firm’s Tax and Private Clients Department and is resident in the West Palm Beach office. Matt focuses his practice on the fields of sophisticated international and domestic estate planning, income tax planning, estate and trust administration, probate and business succession planning. Additionally, Matt’s practice has a particular emphasis on the transfer and income tax aspects of wealth transfer planning for residents and nonresidents of the United States, including pre-immigration and expatriation tax planning, foreign grantor trust planning and United States inbound/outbound investment structuring. Matt’s practice also incorporates wealth preservation planning strategies, including the implementation of foreign and domestic irrevocable trust structures for high net worth families.
Niping Wu (12/14/12)
Niping Wu is a partner in the firm’s Shanghai office. Ms. Wu’s practice focuses on cross-border mergers and acquisitions, in particular private equity downstream investment in the Asia-Pacific region and strategic investments in relation to Chinese target companies. She is distinguished as a leading private equity lawyer from 2009-2012 by Chambers Asia. She is also recognized as an Expert in Private Equity by Expert Guides in 2012. Ms. Wu regularly acts as counsel to international investors active in China, and she also has extensive experience in representing multinational companies in their direct investments into China.
Yingxi Fu-Tomlinson (12/12/12)
Yingxi Fu-Tomlinson is the office managing Partner of the firm’s Shanghai office and a member of the Corporate Department. She was born and raised in Shanghai and is among the first small group of attorneys to have received formal legal education in both China and the United States. She has recently been accepted by the Shanghai Arbitration Commission as an Arbitrator. Ms. Fu-Tomlinson is fluent in English and Mandarin.
Jeffrey D. Scheine (11/19/12)
Jeffrey Scheine’s practice focuses on U.S. domestic and international tax matters for both U.S. and non-U.S. clients, with an emphasis on investments by Canadian institutional and corporate investors in the United States. In addition, a significant part of his practice consists of providing tax advice for various types of debt financing vehicles, both onshore and offshore. He represents financial, strategic and institutional buyers in the U.S. and abroad in connection with their North American and foreign acquisitions and activities. Jeff structures and analyzes both in-bound and out-bound transactions and investments and represents several Canadian pension funds in connection with their private equity, infrastructure and real estate investments in the U.S. Jeff also has extensive experience with real estate investment trusts, international financing transactions and structures, cross-border Canadian income funds, Canada-U.S. Income Tax Treaty issues, branch-versus-subsidiary considerations and international tax planning for high-net-worth individuals. His significant clients include Caisse de dépôt et placement du Québec, the Public Sector Pension Investment Board and various U.S. and non-U.S. investment banks and underwriters.
Gary J. Gartner (11/19/12)
Gary Gartner is a member of the Executive Committee, Chair of the Tax Department and Co-Chair of the Canada Group of Kaye Scholer LLP. His practice focuses on counseling clients on the U.S. and international tax consequences of transactions, restructurings and securities offerings. Gary previously served as the head of the international tax division at a major accounting firm in New York.
Daniel Lewin (08/16/12)
Daniel Lewin’s practice is broad-based and covers the full range of U.K. tax issues. He advises corporate, institutional and private clients on the U.K. and international tax aspects of a wide variety of transactions including financings, acquisitions and divestitures, joint ventures, investment structures, derivative transactions and employment matters, usually with an international element. He has particular experience in the taxation of hedge and private equity funds and management groups, where he has been involved in the development and launch of various innovative investment structures for both private managers and large financial institutions.