Practice Areas


This includes selecting the proper business organization, e.g: “C” corporation; “S” corporation; Limited Liability Company; General Partnership; Limited Partnership; Land Trust; or other appropriate Joint Venture entity. We have obtained favorable tax rulings for clients from U.S. and foreign governments, some of which have resulted in a tax based upon controllable overhead expenses in lieu of a tax on income. We also maximize the foreign tax credit in order to minimize the net United States tax of the business entity, while avoiding shareholder taxation on the undistributed earnings of Controlled Foreign Corporations pursuant to Subpart F.
We have worked closely with foreign businesses seeking to enter the U.S. market to find the best solution for maximizing the after-tax return of the U.S. operations from a U.S. and foreign tax perspective. We also have experience in aggressively defending clients during tax audits and other tax controversy work, and represent clients before the IRS, Tax, and Federal District Courts.
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401 East Las Olas Blvd, Suite 1650
Fort Lauderdale, FL 33301 - 954.522.3456
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