Feingold & Alpert, LLP | <span >Advised closely-held non-U.S. corporations with U.S. and non-U.S. shareholders concerning the implications of the PFIC and CFC tax regimes in connection with developing a strategy for the disposition of highly-appreciated offshore assets</span >
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Advised closely-held non-U.S. corporations with U.S. and non-U.S. shareholders concerning the implications of the PFIC and CFC tax regimes in connection with developing a strategy for the disposition of highly-appreciated offshore assets