Tax - Reorganizations and Bankruptcy
Overview
As part of the firm’s Restructuring practice, we represent debtors, debt syndicates, and official and unofficial creditor and equity holder committees in structuring both court-supervised proceedings and out-of-court restructurings and workouts. Our experience includes assisting clients in preserving the debtor’s tax attributes, minimizing the impact of income arising from the cancellation of indebtedness or foreclosure, structuring tax-efficient debt-for-debt or debt-for-equity exchanges, structuring distressed partnership transactions, and analyzing claims for federal, state and local, and U.K. taxes in the context of bankruptcy proceedings.
News & Insights
U.S. Senate Draft Retains Section 899 “Revenge Tax” in One Big Beautiful Bill ActJune 20, 2025IRS Guidance on 1% Excise Tax Helpful for De-SPAC Transactions With Private TargetsJanuary 9, 2023New Proposed Regulations Provide Much-Needed Guidance on U.S. Tax Consequences of Replacing LIBOR and Other Interbank Offered RatesOctober 15, 2019
Tax Update
Tax Update
Tax Update
U.S. Senate Draft Retains Section 899 “Revenge Tax” in One Big Beautiful Bill ActJune 20, 2025IRS Guidance on 1% Excise Tax Helpful for De-SPAC Transactions With Private TargetsJanuary 9, 2023New Proposed Regulations Provide Much-Needed Guidance on U.S. Tax Consequences of Replacing LIBOR and Other Interbank Offered RatesOctober 15, 2019
Tax Update
Tax Update
Tax Update
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*Admitted to practice only in New Jersey and New York. Not admitted to practice in Florida.










