Paul Myers represents clients in connection with a wide variety of federal tax matters, including both international and domestic tax planning.
Paul has developed both in-bound and out-bound international tax strategies for multinational corporations, closely held business, and high-net-worth US and non-US individuals, as well as domestic strategies addressing a wide variety of federal tax matters.
For multinational corporate clients, Paul has developed and implemented federal tax driven strategies and techniques, designed to maximize US federal tax deferral and foreign tax credit utilization and minimize overall effective tax rates on a global basis. He has also represented multinational clients in a wide variety of M&A transactions in the pharmaceutical, insurance, entertainment and technology sectors as well as various other industries, including both global and regional internal restructurings (both tax and non-tax driven) as well as third-party corporate and joint-venture mergers, acquisitions and dispositions.
For closely held businesses and high-net-worth individuals, Paul has overseen the overseas expansion of high-growth, middle-market companies and has provided critical path problem solving for thorny domestic and international investment strategies and global asset holding structures. He also has developed experience in sophisticated joint venture and other tax partnership structuring from both a tax and non-tax perspective, with substantial specific experience structuring real estate joint ventures.