Photo of Thomas W. Giegerich

Thomas (Tom) W. Giegerich advises domestic and international clients regarding a wide range of corporate tax planning, transactional and controversy matters arising in a broad variety of contexts, including acquisitions and divestitures; corporate restructurings; domestic and cross-border joint ventures and distribution and licensing arrangements; finance transactions, cash pooling arrangements and structured finance; repatriation strategies; taxable and tax-free mergers; tax treaty issues; transfer pricing. Tom has extensive experience advising on the specialized US tax issues faced by foreign multinationals and foreign-owned US multinationals, and has worked on numerous projects involving multi-jurisdictional tax issues. Read Tom Giegerich's full bio.

We recently released the May 2016 issue of “Focus on Tax Strategies and Developments,” which can be viewed in its entirety here or through the links below. The issue includes four articles of interest to taxpayers:

Proposed Debt-Equity Regulations Have Dramatic Implications for Corporate Tax Planning and Compliance

By Thomas W. Giegerich and Michael J.