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Lawyers

Lewis Greenwald

Lewis Greenwald

Work Department

International Tax

Position

Lew has more than 30 years of deep technical experience in U.S. international tax planning, U.S. international tax compliance and controversy, and transfer pricing.

His practice focuses on the provision of international tax planning for multinational corporations, entrepreneurs, and high-net worth individuals, including:

  • Tax-efficient acquisitions, dispositions, reorganizations, and repatriations
  • Migrating intellectual property (IP)
  • Debt/equity determinations; bad debt/worthless stock deductions
  • Transfer pricing planning (establishing, documenting, and pricing intercompany relationships) and transfer pricing controversies
  • U.S. international tax compliance (IRS Forms 5471, 5472, 8865, 8858, 8621, and 3520), with a view to the avoidance of penalties and statute of limitation issues
  • Cross-border foreign currency transactions
  • Voluntary disclosures and expatriations (including relocations to Puerto Rico)

Career

Bar & Court Admissions New York Massachusetts

Memberships

Frequent contributor to Tax Notes International Frequent speaker for the International Fiscal Association (IFA) Former Regional Vice President, New England Region, IFA Former member, Board of Directors, National Foreign Trade Council (NFTC)

Education

Fordham University School of Law (J.D.) Rutgers University (M.B.A.) New York University (B.A.)

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