Partner
and access,
David advises clients on the tax aspects of investment structures and business transactions with an emphasis on cross-border planning, domestic and international mergers & acquisitions (M&A), joint ventures and partnerships. Serving as lead tax counsel, David routinely represents large, multinational, multi-strategy alternative investment fund managers on the U.S. and international tax aspects of their investments and transactions. David represents global asset managers spanning the spectrum of funds, including private equity funds, private credit funds, hedge funds, secondary funds, hybrid funds, evergreen funds, family offices, royalty funds, fund of funds and real estate funds. David regularly assists clients in the structuring and restructuring of domestic and international investments and negotiating corporate acquisitions in both the domestic and cross-border contexts. Clients rely on David for bespoke tax structures tailored to his clients’ investment strategies and business objectives. In addition, David represents fund managers on upper-tier structuring and transactions. David also represents clients, including funds and fund managers, in connection with complex tax controversies and other contentious tax matters.