Partner
and access,
Matt focuses on a range of areas of tax law, with a particular focus on cross-border tax issues and the tax aspects of corporate and partnership transactions. Matt’s practice includes U.S. domestic and international tax planning and transactional work, including issues relating to mergers and acquisitions, joint ventures, private equity and hedge fund investments, controlled foreign corporations and passive foreign investment companies, and Pillar Two, as well as the taxation of financial instruments and various financing transactions. He also advises multinational corporations with respect to corporate, partnership and international tax matters and strategic restructurings. Matt represents corporate, financial institution, private equity and sovereign wealth fund clients.