Michael Bruno focuses his practice on international tax planning, corporate tax, partnership tax, and wealth management planning. He advises individuals, partnerships, and corporations on a host of complicated US tax matters. Michael has authored numerous articles on international tax planning.
Michael regularly advises corporate clients and funds on mergers, acquisitions, restructurings and divestitures in a variety of business contexts. He has assisted companies with a number of international tax issues, including intellectual property migrations, Subpart F, GILTI, and FDII planning, foreign tax credit planning, tax-efficient cash repatriation strategies and post-acquisition integration and implementation. Michael also has experience in advising companies on cross-border tax matters involving technology, digital goods and services.
Articles in the National Law Review database by Michael J. Bruno