International Tax
As business becomes increasingly international at all levels, from the multinational to the sole proprietor, it is more likely than ever that your business will need to plan its tax strategy on an international basis. Due to the complex interplay between and among U.S. tax rules, non-U.S. tax rules and double-taxation treaties, properly integrated and cohesive tax planning is essential when business spans international borders. ZAG/S&W's international tax attorneys have the experience to handle this complex interplay, while providing effective and useful advice and developing practical strategies.
ZAG/S&W has one of the largest international tax practices in the Northeast. The legal practice of many of our 35 tax lawyers includes a significant international tax planning component, and four of our lawyers focus primarily in international taxation.
Our tax specialists have extensive experience in strategic tax planning and implementation for a wide range of international business activities and taxes, including:
- structuring tax-efficient international mergers, acquisitions, dispositions and reorganizations
- designing cross-border financing strategies
- planning for foreign tax credit utilization
- migrating intellectual property to tax-favored jurisdictions
- maximizing opportunities for deferral of U.S. tax on foreign earnings
- using favorable holding company regimes in various foreign countries
- reducing worldwide effective foreign tax rates
- developing capital structures and repatriation strategies
- documenting and defending intercompany transfer pricing matters
- assisting with cross-border real estate investments
- advising sovereign wealth funds, foreign governmental pension plans and other foreign governments as to their U.S. investments, including real estate investments
Practice Profile (PDF)
Representative Client Work
- Advised the U.S. shareholders of a large foreign investment management firm on how best to preserve tax deferral of non-U.S. income
- Represented Irish sponsors in the structuring and formation of private, externally advised, blind pool U.S. REITs to raise capital in Ireland and invest in U.S. commercial real estate
- Implemented a foreign reorganization involving 20 countries for a major publicly traded manufacturer
- Assisted one of the world’s largest mobile telephone operators and several other telecommunications providers with various tax issues related to expansion into the United States and foreign markets
- Provided international tax and structuring advice to one of the world’s largest asset management firms in connection with its $27 billion bid for a global media and entertainment company
- Advised a large publicly traded chemical company in its $100 million acquisition of a Japanese company and through the creation of hybrid entities and use of internal leverage achieved significant annual foreign tax savings
News
- May 23, 2013
Uncertainty Persists on Grandfathered Obligations Under FATCA, U.S. Practitioner Says
Worldwide Tax Daily - April 11, 2013
Obama Budget Includes Reciprocal U.S. FATCA Information
Worldwide Tax Daily - March 19, 2013
Washington Still Not Serious About Corporate Tax Reform
The Washington Times - February 25, 2013
International Tax Partner Douglas Stransky to Present Guidance on U.S. Tax Law for Companies Expanding Internationally at BNA Bloomberg Webinars
S&W Press Release - October 22, 2012
Sullivan & Worcester Attorneys Selected as 2012 Rising Stars - September 27, 2012
Sullivan & Worcester Nominated for 2012 Americas Tax Awards - September 4, 2012
International Tax Review's Tax Controversy Leaders 2012 Recognizes Douglas S. Stransky
International Tax Review - August 20, 2012
Who Will Really be Snared by FATCA?
Investment Week - June 11, 2012
The Fundamental Principles of Income Attribution are Not Unmoored by Section 865(e)(2)
Tax Notes International - May 17, 2012
Nonfinancial Institutions May Be Unaware of FATCA Obligations, Practitioner Says
Worldwide Tax Daily - May 3, 2012
How to Win a US Tax Dispute
International Tax Review - April 2012
Administration Adds New International Revenue Raisers to Green Book Proposals
Journal of International Taxation - March 31, 2012
Analysis of FATCA Proposed Regulations
Practical International Tax Strategies - February 14, 2012
U.S. Senator's Proposed Cut Loopholes Act Contains Familiar International Provisions
Worldwide Tax Daily - November 21, 2011
The Challenges of Cutting the U.S. Corporate Tax Rate
International Tax Review - September 21, 2011
Practitioners Disappointed by Obama's International Tax Reform Proposals
Worldwide Tax Daily - August 29, 2011
The Exceptional Importance of Getting U.S. International Tax Compliance Right
Tax Notes International - July 27, 2011
New Tax Haven Legislation has Implications for FATCA
International Tax Review - July 22, 2011
Beyond Repatriation, Reform is Needed
Boston Business Journal - July 13, 2011
Whistleblowers May Take Caution From Tax Court Ruling
Tax Disputes Week - June 14, 2011
Sullivan & Worcester LLP Receives Top Rankings in Six Categories in the 2011 Edition of The Legal 500 United States
S&W Press Release - June 6, 2011
Nothing for Something: Avoiding U.S. Withholding Obligations on Phantom Interest
Tax Notes International - May 31, 2011
Administration Recycles International Tax Proposals In FY2012 Budget
Journal of International Taxation - May 23, 2011
Practitioner Describes Pervasive Reach of FATCA
Worldwide Tax Daily - April 1, 2011
IRS Entices Employees to Disclose Sensitive Information
International Tax Review - March 31, 2011
IRS Makes Enron Whistleblower a Millionaire
Tax Disputes Week - March 14, 2011
Sullivan & Worcester Supports Ireland Day at the NYSE Euronext - February 15, 2011
Obama Budget Contains Familiar International Revenue Raisers
Worldwide Tax Daily - January 2011
An International Corporate Tax Agenda for the New Congress
Financial Executive Magazine - December 7, 2010
IRS Releases FTC Splitter Guidance
Worldwide Tax Daily - October 2010
Israel: An Investment Destination Compatible with American Business and Law
The American Lawyer - September 8, 2010
IRS, Treasury Provide Welcome Guidance on Check-the-Box Rules
Worldwide Tax Daily - September 2010
Securing that Slippery Worthless Stock Deduction
Journal of International Taxation - August 2010
Supreme Court Will Not Review First Circuit's Textron Decision
Journal of International Taxation - August 19, 2010
A Guide to the New Foreign Tax Credit Rules and Other Revenue Raisers
Worldwide Tax Daily - August 2, 2010
Tax Window Stays Open
Treasury & Risk - July 5, 2010
Mirror, Mirror: Identifying Property In a Reverse Like-Kind Exchange
Tax Notes - May 2010
Douglas S. Stransky Quoted in Articles Discussing the Supreme Court’s Denial of Textron’s Petition
Tax Notes Today, Worldwide Tax Daily, Federal Taxes Weekly, Reuters, International Tax Review - May 24, 2010
Legislative Summary of Extenders Legislation Unveiled with Significant International Revenue Raisers
International Taxes Weekly - May 20, 2010
Practitioners Discuss FATCA Provision Expanding Statute of Limitations
Worldwide Tax Daily - May 2010
The Good, the Bad, and the Uncertain: An Examination of the International Tax Proposals from the Obama Administration, the HIRE Act, and the Tax Extenders Bill
Practical International Tax Strategies - May 14, 2010
Ameek Ponda on IRS Advisory Board
India Abroad - May 7, 2010
Squeezing Foreign Firms
Boston Business Journal - April 29, 2010
IRS International Enforcement Extends to Cases of No Tax, Practitioner Cautions
Daily Tax Report - April 14, 2010
Tax Authority Provides 'How To' on International Taxation
Forbes - April 7, 2010
Sullivan & Worcester Tax Partner Ameek Ashok Ponda Appointed to Internal Revenue Service Advisory Council
S&W Press Release - March 23, 2010
Sullivan & Worcester’s Tax Group Nominated for Chambers USA Awards for Excellence 2010
S&W Press Release - February 2, 2010
Obama's Budget Drops Check-the-Box Repeal, Adds International Provisions
Worldwide Tax Daily - February/March 2010
All Tied Up
INSIGHT Magazine - January 2010
Textron Wants Supreme Court's View on Work Product Privilege
International Tax Review - December 2009
Textron, Inc. Petitions Supreme Court to Review the First Circuit’s Evisceration of the Work Product Privilege
Practical U.S./Domestic Tax Strategies - December 2009
The Fabulous New Substantial Contribution Test Is Made Even More Fabulous
Journal of International Taxation - November 2009
The Future for Tax Services: Why Regulation Threatens Non-Audit Work
International Tax Review - October 13, 2009
Getting Personal: Tax Tail Wags Dog At Citigroup - October 2009
Joint Committee Produces Report on Obama Budget Proposals
International Tax Review - September 2009
Obama Seeks to Tax Outbound Transfers of Workforce in Place
Journal of International Taxation - June 3, 2009
Getting Personal: Stressing Over Offshore Tax Filing
Dow Jones Newswires - June 2009
Code Section 457A Requires Immediate Attention by Certain Sponsors of Nonqualified Deferred Compensation Arrangements
Practical U.S./International Tax Strategies - May 21, 2009
Obama Proposals Could Have Drastic Impact on Leveraged Companies, Practitioner Says
Daily Tax Report - May 5, 2009
Getting Personal: Obama Goes After Secret Offshore Accounts
Dow Jones Newswires - May 5, 2009
Obama's Corporate Tax Proposal Panned by Advocacy Group
Investment News - May 2009
Obama Unveils International Tax Reforms
International Tax Review - May 1, 2009
Rhetoric Surrounding Obama's International Tax Proposals Detracts From Real Debate, Practitioner Says
Worldwide Tax Daily - May 2009
Through the Glass [Even More] Darkly: Revisions to the Not-So-Fabulous Branch Rule
Journal of International Taxation - March 13, 2009
An International Tax Wish List for the New President
Boston Business Journal - March 2009
First Circuit Vacates Textron Work-Product Privilege Ruling and Grants Petition for Rehearing En Banc
Practical U.S./Domestic Tax Strategies - February 2009
Obama Sets Out to Transform Tax System
International Tax Review - January 2009
United States v. Textron, Inc.: A Hollow Taxpayer Victory for Privilege in the First Circuit
Practical U.S./Domestic Tax Strategies
Events
- May 21, 2013 (Boston) and May 22, 2013 (New York)
The 6th Annual Worldwide Tax Update - April 3, 2013 (12:30 p.m. - 2:00 p.m. ET)
Intermediate U.S. International Tax For Non-International Tax Professionals - March 27, 2013 (12:30 p.m. - 2:00 p.m. ET)
Introduction to U.S. International Tax for Non-International Tax Professionals - December 14, 2012
7:00 a.m. (registration)
7:30 a.m. - 9:00 a.m. (seminar)
Establishing International Operations - November 12, 2012
CFO Workshop - May 15 and May 16, 2012 (8:30 a.m. - 5:00 p.m.)
Boston (Sullivan & Worcester) and New York (The Kitano)
The 5th Annual Worldwide Tax Update - March 21, 2012 (3:00 p.m. - 5:30 p.m.)
Establishing International Operations - January 18, 2012 (11:00 a.m. - 12:30 p.m. ET)
Entering the U.S. Market: 5 Most Important Tax and Legal Issues - October 19, 2011 (4:00 - 7:00 p.m.)
Doing Business in Canada: Key Considerations for U.S. Lawyers - October 4, 2011
Entering U.S. Market: 10 Most Important Tax and Legal Issues - May 17 and May 18, 2011 (8:30 a.m. - 5:00 p.m.)
4th Annual Worldwide Tax Update - May 5-7, 2011
REIT Recent Developments - March 24, 2011 (4:30 p.m. - 6:30 p.m.)
American and Canadian Immigration Business and Investor Visa Options and Tax Considerations - March 16, 2011 (2:00 - 5:00 PM)
Establishing International Operations - February 16, 2011
U.S. Tax Issues in Structuring Foreign Operations - January 13, 2011 (12:00 - 1:30 p.m.)
Introduction to U.S. International Tax for Non-International Tax Professionals - November 10, 2010 (12:30 - 2:00 p.m. ET)
Intermediate U.S. International Tax for Non-International Tax Professionals - October 27, 2010 (12:30 - 2:00 p.m. ET)
Introduction to U.S. International Tax for Non-International Tax Professionals
Publications
- November 15, 2011
Taxation in Israel
Client Advisory - October 26, 2010
Capital Gain Exclusion Rate Increased to 100% for Qualifying Investments
Client Advisory - July 26, 2010
The Dodd-Frank Act – What Public Companies Should Be Doing Now
Client Advisory
