David represents corporations, partnerships, and high-net-worth
individuals in a wide range of domestic and international tax matters. The
clients David has represented span an array of industries, including oil and
gas exploration and production, private equity funds, renewable energy,
domestic and foreign manufacturing, offshore drilling, shipping, real estate,
and medical devices.
In his tax controversy practice, David has represented
clients in all phases, from audit to IRS appeals to litigation. In his
litigation practice, he has represented clients before the U.S. Tax Court,
Federal Courts of Appeal, and in the Delaware Court of Chancery. He also has
extensive experience with partnership disputes, having litigated many cases
under the Tax Equity and Fiscal Responsibility Act of 1982 (TEFRA) and having
advised clients on the Bipartisan Budget Act of 2015 (BBA).
David also has extensive experience with transfer pricing
and has advised companies on numerous U.S. federal income tax matters,
including structuring intercompany operations and transactions between affiliates.