Michael provides federal income tax legal advice to a wide variety of clients, including partnerships, real estate investment trusts, tax-exempt organizations, corporations, and individuals. He drafts partnership agreements incorporating concepts such as special allocations, targeted capital accounts, and compliance with the fractions rule of Code section 514(c)(9)(E).
Before joining the firm, Michael was a Director in the Washington National Tax Practice Group of Deloitte LLP and advised Deloitte practice offices worldwide regarding the U.S. federal income tax treatment of partnerships, real estate investment trusts, and tax-exempt organizations. He structured business transactions to maximize tax efficiencies, such as the use of a RIDEA structure in the acquisition of a portfolio of over 100 properties valued at $3.4 billion total by a real estate investment trust.
EducationJ.D., Harvard Law School, 1999, Harvard Journal of Law and Public Policy
B.A., University of Chicago, 1993, Deans List, with honors
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