Anthony D. Cipriano counsels clients, particularly multinational high-tech companies, on tax considerations associated with domestic and cross-border mergers and acquisitions, joint ventures, internal corporate reorganizations, and related party transactions. A substantial part of Tony’s practice involves post-acquisition integration, international restructuring projects, subpart F planning, § 199 manufacturing, treaty interpretation, and income characterization. He also advises clients on tax matters in controversy, with an emphasis on transfer pricing, income characterization, and withholding tax matters.