Understanding International Tax Law
Mr. Bolinger, is an attorney who handles U.S. federal income tax issues involving both activities of US taxpayers in foreign countries, and activities of foreign taxpayers in the United States. Our firm serves individuals and corporations throughout the United States and all over the world.
Bolinger Law Firm has extensive experience in all areas of international business taxation, including foreign acquisitions, dispositions and multinational restructurings, joint ventures, tax planning for intangibles, including issues relating to the international licensing of intangibles and international intangible structures, use of hybrid entities, intercompany transfer pricing (including negotiating advance pricing and competent authority agreements), income sourcing, foreign tax credits, allocation and apportionment of deductions, dual consolidated losses, sub part F, income tax treaties, and foreign currency transactions. The Bolinger Law Firm is involved in analyzing these issues in connection with tax planning transactions and in tax controversies with the Internal Revenue Service.
Bolinger Law Firm also regularly advises U.S. and non-U.S. high net worth individuals in connection with U.S. tax issues, including issued relating to business planning for inbound and outbound investment, expatriation, residency and related treaty issues, and participation in the Internal Revenue Service Voluntary Compliance Program, especially in relationship to complying with U.S. foreign bank account reporting rules.
Bolinger Law Firm also has access to an extensive network of leading firms and practitioners around the world. We are able to call upon the expertise of these colleagues at any time, in order to respond quickly to our clients’ needs domestic and aboard.
Clients Focused. Results Driven.