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Kevin M. Rowe advises clients on tax aspects of mergers and acquisitions. Mr. Rowe has wide experience in the international, corporate and partnership areas. His clients include U.S. and foreign-based multinational corporations, hedge and private equity funds and high net worth individuals.
Mr. Rowe is a member of the committees on U.S. Activities of Foreign Taxpayers and Foreign Activities of U.S. Taxpayers of the American Bar Association and the New York Bar Association. He has co-chaired several seminars in advanced partnership taxation and has written extensively on topics in the international tax area.
Written Works
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"Final Portfolio Interest Regulations Pertaining to Partnerships,"
Practical US/International Tax Strategies,
May 31, 2007
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"Significant Limitation on Subpart F Substantial Assistances Rules,"
Corporate Business Taxation Monthly,
May 2007
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"Proposed Regulations Deny Foreign Tax Credit in Structured Passive Investments,"
Practical US/International Tax Strategies,
April 2007
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"Guidance Issued Under Code Section 954(c)(6),"
Corporate Business Taxation Monthly,
April 2007
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"New Regulations Under Code Sec. 7874,"
Corporate Business Taxation Monthly,
September 2006
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"United States and Germany to Amend Income Tax Treaty,"
Corporate Business Taxation Monthly,
August 2006
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"IRS Notice Highlights Uncertain Consequences of Cross Licensing Agreements,"
Global Intellectual Property Asset Management Report,
June 2006
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"IRS Issues Regulations Limiting Reach of Section 7874 Anti-Inversion Rule,"
Practical US/International Tax Strategies,
December 2005
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"IRS Issues New Partnership Withholding Rules,"
Practical US/International Tax Strategies,
August 2005
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"Corporations Can Dispose of Assets Tax Free Through Leveraged Partnerships (Sometimes),"
Mergers and Acquisitions,
January 2003
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Bar Admissions
Education
- LL.M., New York University School of Law, 1986
- J.D., Cornell Law School, 1984
- B.A., St. Lawrence University, 1981
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