Nate focuses his practice on various types of business transactions, as well as the U.S. federal income tax laws and consequences related to these business transactions, with special emphasis and consideration for the rules of partnerships, S corporations, C corporations, inbound international, outbound international, deferred compensation, tax-exempt (not-for-profit) organizations, financial instruments, and tax credits.
Also Nate, structures mergers, acquisitions, consolidations, capital restructurings, divestitures, purchases, sales, strategic alliances, and joint ventures, and further counsels various sized businesses, from the start-up stage to established large enterprises, on the varying U.S. federal income tax consequences of such transactions.
Nate drafts the documents related to various operational business ventures, transactions, and investments, including partnership agreements, operating agreements, purchase and sale agreements, transfers and assignments, and deferred compensation agreements, and he also provides tax opinions for difficult and convoluted issues.