Accept Accept I am aware that sending of an electronic message through our website does not commence representation or an attorney-client relationship. All submissions are kept strictly confidential. From our office locations in Naples, FL and New York City, our tax attorneys advise individuals and businesses throughout the U.S., Asia, and the Caribbean on corporate tax, partnership tax, and international tax (inbound and outbound) matters.
Typical representations involve tax structuring for real estate projects, syndications and private placements, investment partnerships, holding companies and closely held businesses. Our transactions frequently involve business organizations, reorganizations, work-outs, mergers and acquisitions, spin-offs and other dispositions, joint ventures, financings and restructurings.
We are known for our ability to innovate sophisticated solutions for special situations.
Typical representations involve tax structuring for real estate projects, syndications and private placements, investment partnerships, holding companies and closely held businesses. Our transactions frequently involve business organizations, reorganizations, work-outs, mergers and acquisitions, spin-offs and other dispositions, joint ventures, financings and restructurings.
We are known for our ability to innovate sophisticated solutions for special situations.
Services
Managing Member, is an attorney formerly of the international law firm of Paul, Weiss, Rifkind, Wharton & Garrison in New York.
Mr. Korn has authored numerous articles on tax law and lectures widely.
His clients include individuals and companies throughout the U.S., Asia, and the Caribbean, as well as several prominent real estate and investment funds.
Mr. Korn has extensive experience in complex tax structuring and reorganizations.
He has particular interest in structuring real estate projects for tax efficiency and tax savings.
Mr. Korn has authored numerous articles on tax law and lectures widely.
His clients include individuals and companies throughout the U.S., Asia, and the Caribbean, as well as several prominent real estate and investment funds.
Mr. Korn has extensive experience in complex tax structuring and reorganizations.
He has particular interest in structuring real estate projects for tax efficiency and tax savings.
Under Section 7430 of the Internal Revenue Code, the prevailing party in any civil tax proceeding brought by or against the United States is permitted a discretionary award of litigation costs, including attorneys' fees.
A "prevailing party" is defined as a.
The Korn Law Firm, P.L. / Tel (239) 354-4300 One of the primary reasons why computation of a partner's interest in a partnership and its assets often confuses partners and their advisers alike is that two different, contemporaneously operating measurements exist to.
A "prevailing party" is defined as a.
The Korn Law Firm, P.L. / Tel (239) 354-4300 One of the primary reasons why computation of a partner's interest in a partnership and its assets often confuses partners and their advisers alike is that two different, contemporaneously operating measurements exist to.
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