500 North Capitol Street, NW
Washington, District Of Columbia 20001
David D. Sherwood focuses his practice on a broad range of domestic tax issues affecting corporations, joint ventures and their owners, including the tax treatment of spin-offs and other restructurings, consolidated returns, the availability of deductions on the worthlessness or other disposition of stock, and the formation of investment partnerships, real estate partnerships, corporate joint ventures and multinational group internal partnerships.
David also has extensive experience dealing with complicated business appraisals and issues concerning the disclosure of tax shelters and other reportable transactions.
|Areas of Practice||1) Acquisitions & Restructurings, 2) Tax and 3) Tax Structuring|
|Law School||Harvard Law School ( J.D.,1998)|
|Education||Harvard University (M.A.,1996);Columbia college (B.A.,1993)|
|Bar Member / Association||District of Columbia State Bar Associations,California State Bar Associations|
|Most recent firm||Ivins, Phillips & Barker|
Barton W.S. Bassett is the leader of Morgan Lewis's Tax Practice. Mr. Bassett's practice focuses on international tax planning for both the outbound operations of U.S. multinationals and the inbound operations of foreign multinationals.
Celia Roady is a partner in Morgan Lewis's Tax Practice.Ms. Roady has published extensively in various journals on exempt organizations.