Sarah focuses her practice on a wide variety of tax planning and controversy matters for both individuals and entities.
Sarah counsels clients with respect to structuring cross-border investments, including matters related to Subpart F, PFICs, FIRPTA, treaty interpretation and application, and withholding and information reporting regimes, including FBAR and FATCA reporting obligations. She advises her clients on a variety of federal, state, local and international tax matters and related fiscal arrangements, including mergers, acquisitions, reorganizations, divestitures and spin-offs and the formation and operation of corporate and non-corporate joint ventures, partnerships and limited liability companies.
Sarah previously worked at a boutique tax law firm in New York City.
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