Matt is a business attorney with extensive experience providing tax planning and transaction advisory services to domestic and multinational businesses.
Matt advises business enterprises on domestic and international tax matters, including mergers, acquisitions, dispositions, reorganizations and legal entity rationalization initiatives. Matt also advises clients on the applicability of tax treaties and related withholding tax matters, holding company structures, capital structure optimization and other ad-hoc tax issues. Matt also aids taxpayers with navigating the IRS audit process and tax controversy matters.
Matt is a business attorney with extensive experience providing tax planning and transaction advisory services to domestic and multinational businesses.
Matt advises business enterprises on domestic and international tax matters, including mergers, acquisitions, dispositions, reorganizations and legal entity rationalization initiatives. Matt also advises clients on the applicability of tax treaties and related withholding tax matters, holding company structures, capital structure optimization and other ad-hoc tax issues. Matt also aids taxpayers with navigating the IRS audit process and tax controversy matters.
Prior to joining Bond, Matt worked in the global structuring practice of a “Big 4” public accounting firm where he advised public and private multinational businesses on cross-border transaction structuring.
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