
Taxation
Overview
Tax decisions affect nearly every industry, presenting challenges and risks to individuals, privately-held businesses, and public companies alike. Whether you own an established business or
nonprofit organization,
work for a government agency, or handle domestic and cross-border transactions, Dickinson Wright’s Taxation practice offers innovative and comprehensive services to assist you in navigating complex tax laws.
As a full-service law firm with
offices
across the U.S. and Canada, we work seamlessly cross-border on U.S. federal, state, and local tax matters, as well as Canadian federal, provincial, and local tax matters.
Our Services
Core Tax Services
- U.S. Partnership Tax
- Transactional Tax Planning
- State & Local Tax
- International Tax
- Corporate Tax
- Mergers & Acquisitions
- Private Equity
- Tax-Exempt Organizations
- Tax Controversy
- Tax Credit & Community Finance
Transactional Tax
- Partnership formation, capitalization, acquisitions, dispositions, and related transactional matters
- Tax-free corporate reorganizations, recapitalizations, and restructurings
- Tax consequences of buying or selling a business or its assets
- Tax planning for distributions, redemptions, and owner buyouts
- Tax matters associated with private equity fund formation
- Tax matters related to portfolio investment acquisitions and dispositions
- Federal tax aspects of real estate financing and development
- Tax-advantaged financing structures including tax-exempt bonds, New Market Tax Credits, historic rehabilitation credits, and low-income housing credits
State and Local Tax
- Advising on state and local tax implications of mergers, acquisitions, and asset purchases
- Successor liability analysis for tax obligations
- Voluntary disclosure agreements to reduce penalties and liabilities
- Refund recovery for overpaid sales and use taxes
- Transaction privilege tax guidance for developers and contractors
- Tax incentives and compliance for data centers and renewable energy projects
- Property tax exemption counseling for nonprofit organizations
International Tax
- Application of U.S. bilateral tax treaties
- Customs and excise tax matters
- Inbound and outbound cross-border investments between Canada and the U.S.
- Joint venture structures involving U.S. and Canadian entities
Tax-Exempt Organizations
- Formation of tax-exempt organizations
- IRS recognition of tax-exempt status
- Federal tax compliance counseling
- Private foundation operations
- Joint ventures involving exempt organizations
- Unrelated Business Income Tax (UBIT) compliance
- Representation in IRS, Revenue Canada, and state/provincial/local tax audits
- Tax litigation involving assessment, valuation, and classification disputes
Representative Case Matters
- Tax counsel to companies across multiple industry sectors, including technology, real estate, charter school management, manufacturing, distribution, retail, financial services, insurance, legal, healthcare, and others.
- Counsel to closely held and public companies in federal tax matters, including tax-free corporate reorganizations, mergers, acquisitions, divestitures, and joint ventures.
- Served as tax counsel to issuers of billions of dollars of tax-exempt bonds, including governmental bonds, private activity bonds, qualified 501(c)(3) bonds, and exempt facility bonds.
- Advised developers, nonprofit, for-profit, and governmental entities on more than $100 million of tax-advantaged financings and economic development incentives, including New Market Tax Credits, Historic Rehabilitation Credits, and other federal and state tax incentive programs.
- Provided counsel to private equity funds on fund formation and tax matters, with an emphasis on federal partnership taxation issues.
- Advised individual and business clients on investment and business transactions to minimize tax exposure and ensure compliance with applicable tax laws.
- Counseled clients on entity formation, choice of entity, and related structuring considerations.
- Represented small to multinational businesses in federal and state tax controversies, including tax appeals and refund litigation.
- Represented manufacturing and industrial property owners in reducing ad valorem tax liabilities by millions of dollars.
- Advised multistate multilevel marketing companies on sales and use tax nexus issues.
Key Contacts

J. Troy TerakedisMember and Division Director of Industry PracticesColumbusTTerakedis@dwlaw.com614-744-2589


