New feature: Customize your PLUS research experience with My Preferences. Learn more.
Skip to main content

Real Estate Tax Forum 2012 (14th Annual)


Speaker(s): Bahar A. Schippel, Barbara A. Sloan, Blake D. Rubin, David F. Levy, Fred T. Witt, Gino J. Bianchini, James M. Lowy, Jill E. Darrow, Jon G. Finkelstein, Lary S. Wolf, Leslie H. Loffman, Linda Z. Swartz, Michael Hirschfeld, Robert D. Schachat, Sanford C. Presant, Stefan F. Tucker
Recorded on: Mar. 19, 2012
PLI Program #: 35349

Gino Bianchini is a Greenberg Traurig shareholder and is a nationally recognized tax attorney specializing in REITs, funds and other real estate and partnership transactions. Specifically, he has represented private equity investment groups in the formation of funds to acquire real estate and real estate loans (including the use of REPO financing); the tax aspects of foreclosure / deed in-lieu and loan restructuring transactions; the formation, acquisition, merger and operation of REITs in every industry group (hotel, health care, retail, office and industrial); the formation of structures to address the concerns of foreign investors in US real estate with respect to FIRPTA and ECI and the concerns of taxexempt investors with respect to UBIT (including the pension-held REIT rules); the formation and operation of nontraded REITs; and the taxation of real estate development and operational activities, such as tax accounting methods, the application of the uniform capitalization rules, like-kind exchanges.

Gino recently joined Greenberg Traurig after nearly 15 years with Ernst & Young LLP, where he was a tax partner in the Real Estate Group (including the National Tax Department in Washington, DC). While at Ernst & Young, Gino participated in a wide array of REIT and fund transactions in the real estate space, REIT mergers, portfolio asset acquisitions; and the formation of numerous funds to acquire distressed assets and loans.

Significant Representations

  • Represented a large private equity firm in a transaction involving its investee company that was taxed as a domestic REIT in the acquisition of a foreign company with assets and operations in the United States and internationally. Pre and post transaction planning and structuring was required because the target was not previously a REIT.*
  • Represented a publically traded domestic REIT in the acquisition of another publically traded domestic REIT.
  • Performed pre-transaction structuring and due diligence due to the target’s international operations. *
  • Represented numerous commercial property owners in large asset and/or portfolio restructuring transactions as part of their overall de-leveraging and loan workout strategies.*
  • Advised commercial and residential developers as to tax planning matters related to the tax accounting of the revenue and expense associated with large-scale development projects such as master-planned communities and mixed-use hotel / condominium / retail projects.*
  • Assisted in structuring complex like-kind exchange transactions involving multiple assets, forward and “reverse” exchanges, including safe-harbor and non-safe harbor parking transactions.*
  • *The above representations were handled by Gino Bianchini prior to his joining Greenberg Traurig, LLP.


Professional & Community Involvement
  • Tax Law Program Advisory Board Member and Adjunct Faculty, Real Estate Tax Planning, Chapman University School of Law
  • Member, California State Bar Association
  • Section of Taxation
  • Member, National Association of Real Estate Investment Trusts

Previous Experience
  • Principal, Ernst & Young, LLP, 1997 - 2011
  • Associate Attorney, Tax Law Offices of F.W. Daily, 1993 - 1997


Jon Finkelstein is a partner in the law firm of McDermott Will & Emery LLP and is based in the Washington, D.C., office. He focuses his practice on providing tax planning advice to partnerships, limited liability companies and corporations. Jon has particular expertise in structuring complex joint ventures, restructurings, acquisitions, and dispositions involving operating businesses and real estate assets. He also regularly advises clients on Internal Revenue Service and state audit examinations involving joint venture, partnership and limited liability company structures. 

Jon is a vice chair of the Real Estate Committee of the American Bar Association Section of Taxation. He also serves on the Tax Policy Advisory Committee of the Real Estate Roundtable. 

Jon has authored more than 30 professional articles and is a frequent lecturer at tax conferences across the United States. He was recognized in The Legal 500 United States as a leader in his field.

Jon is admitted to practice in the District of Columbia and New York.

Education
 University of Minnesota Law School, J.D. (magna cum laude), 1999
 Columbia University, B.A., 1995


Barbara A. Sloan is a partner in the New York City law firm of McLaughlin & Stern, LLP. She began her estate and trust practice in Washington, D.C. before moving her practice to New York in 1998. Her practice involves estate planning, the administration of estates and trusts, trustee and beneficiary litigation, business succession planning and tax-exempt organization work.

Ms. Sloan is a graduate of the Washington College of Law, American University, where she received her J.D., cum laude, and is a member of the Washington College of Law Honor Society. She also holds a B.A. in philosophy from George Washington University and an M.A. in clinical psychology from the University of Maryland. She is admitted to practice law in New York, the District of Columbia, Maryland and Pennsylvania.

 Ms. Sloan is a fellow of the American College of Trust and Estate Counsel, where she is State Chair for Downstate New York and the immediate past Chair of the Fiduciary Income Tax Committee. She is active in local and national bar associations, having served as Chair of the Estate and Gift Tax Committee and the Tax Practice Management Committee of the Tax Section of the American Bar Association and Chair of the Estate and Gift Tax Committee of the New York City Bar Association. She is a current Council Member of the Real Property, Trust and Estate Law Section of the ABA and a member of the Trusts, Estates and Surrogates Court Committee of the New York City Bar Association. She is a member of the professional advisory councils of the Central Park Conservancy, the Museum of Art and Design, the New York Philharmonic, the New York Public Library and the Simon Wiesenthal - New York Tolerance Center, and the Editorial Board of the Practical Tax Lawyer.

 Ms. Sloan is an Adjunct Professor in the Graduate Tax Law program at New York University Law School, where she teaches Estate Planning. She has served on the boards of directors of a number of charitable organizations including the Eye-Bank for Sight Restoration, Inc., the Elaine Kaufman Center and the New Group. She lectures and publishes nationally on a variety of estate planning topics and delivered the American Trollope Society 2001 Annual Lecture on Selected Problems in the Victorian Law of Inheritance and their Effect on the Lives of Women.


Fred Witt is a member of the Real Estate Tax Services group providing tax consulting services to those in the real estate industry. As the Vice Chair of The Real Estate Roundtable's Tax Policy Advisory Committee, Fred is active in Washington tax policy matters affecting the real estate industry.

Fred is the Past Chair of the Real Estate Committee and a former officer and member of Council of the American Bar Association Section of Taxation. He is a frequent speaker and has been quoted on federal tax matters in articles appearing in Barron's, The Wall Street Journal, The Arizona Republic, and CFO magazine.

Fred has a B.S. in Business Administration from Nebraska Wesleyan University, a J.D. from the University of Nebraska College of Law and an LL.M. in Taxation from New York University. He has been named to The International Who's Who of Corporate Tax Lawyers 2012.


Bahar Schippel is a Partner with the law firm of Snell & Wilmer L.L.P. in Phoenix, Arizona.  She specializes in tax planning for mergers and acquisitions, joint ventures and real estate transactions, drafting LLC and partnership agreements, tax planning in connection with fund formation and operations, structuring tax-efficient debt workouts, designing service provider equity compensation for LLCs and partnerships and representing taxpayers before the Internal Revenue Service. Bahar served on the Council of the ABA Tax Section and is a Past Vice Chair (Pro Bono and Outreach) thereof. Bahar is a Past Chair of the ABA Tax Section Partnership Committee. She is currently a member of the ABA's National Conference of Lawyers and CPAs. Bahar is also the Past Chair of the Tax Section of the State Bar of Arizona and is the Past Chair of the Arizona Tax Advisory Commission, which oversees the tax specialization program in Arizona. She is also a Regent of the American College of Tax Counsel, and a member of the Bloomberg BNA Real Estate Advisory Board and the Wolters Kluwer Legal Tax Advisory Board, which all include some of the nation's leading authorities on tax law. Bahar frequently speaks at national and regional tax conferences and contributes articles to top-tier tax publications. Prior to joining Snell & Wilmer, Bahar served as Attorney-Advisor for the United States Tax Court in Washington, DC, and as Teaching Assistant to the Honorable David Laro at Georgetown University Law Center.


Bob is a consultant to Realty Exchange Corporation in northern Virginia and other clients.  Prior to his retirement as a principal and consultant to Ernst & Young LLP on June 30, 2019, he consulted with clients in all federal income tax aspects of real estate, including REIT, partnership, limited liability company and S corporation formations, acquisitions, like-kind exchanges, development, leases, financings, workouts, dispositions and liquidations.  Bob’s experience also includes extensive involvement in the negotiation and drafting of all types of partnership agreements, LLC operating agreements and corporate shareholder agreements.  He has also advised clients on a regular basis in monitoring federal legislative and regulatory activity in the real estate area.

Bob joined Ernst & Young LLP in 1996, retired as a principal on June 30, 2017 and retired as a consultant with EY on June 30, 2019.  From 1984 until 1996, he was a partner in a Manhattan law firm practicing in the taxation of real estate.  Bob has published many articles and lectures frequently at many real estate industry and tax conferences.  He is also a member of the Advisory Board of Journal of Passthrough Entities, the Board of Contributing Editors and Advisors of Real Estate Taxation and the Tax Management Advisory Board for Corporate Tax and Business Planning.  Bob is co-author with Jim Lowy of the CCH treatise, Taxation of REITs and UPREITs.  He has served as Chair of the Real Estate Committee of the ABA Section of Taxation, Vice Chair of the Tax Policy Advisory Committee of the Real Estate Roundtable and Co-chair of the Cost Recovery Committee and as a member of the Executive Committee of the NYSBA Tax Section, and continues to serve as a member of the Government Relations and Real Estate Committees of the ABA Section of Taxation.

Bob has an S.B., Phi Beta Kappa, in Mathematics from Massachusetts Institute of Technology, a J.D. from Columbia University Law School, and an LL.M. (in Taxation) from New York University School of Law.

 


David Levy is a tax partner in Skadden's Chicago office. He represents clients on a wide range of public and private transactions in the real estate, finance, infrastructure and investment management industries. Mr. Levy represents publicly traded real estate investment trusts (REITs), master limited partnerships (MLPs), “yieldcos” and “Up-Cs,” in connection with mergers and acquisitions, securities offerings, debt syndication transactions, structured asset acquisitions and dispositions, and spin-off, split-off and split-up transactions. He also represents C-corporations in connection with restructurings and conversions to REIT status; REITs and other finance and yield vehicles in connection with specialty financing transactions, including “to be announced” contracts, mortgage servicing rights, REMIC transactions, A/B note structures, interest and principal strips, derivative instruments, and IRS private letter ruling requests and tax controversies.

In the private transaction area, he represents sponsors, management teams, investors and funds in connection with the formation and financing of private investment vehicles; the structuring, creation and financing of joint ventures; the acquisition, development and disposition of assets; the structuring of Section 1031 like-kind exchange transactions and transactions involving tenancy-in-common and long-term leasehold interests; and leveraged partnerships, synthetic partnerships, and UPREIT and DownREIT partnership transactions. Additionally, he advises on matters arising under the Foreign Investment in Real Property Tax Act of 1980 (FIRPTA), the New York City commercial rental occupancy tax regime, and the New York mortgage recording tax and real property transfer tax regimes; various debt and equity strategies relevant to specialty investors, including U.S. tax-exempt investors, high-net-worth individuals, non-U.S. pension funds and sovereign wealth funds; and in-court and out-of-court debt restructuring transactions.

Mr. Levy is a frequent lecturer and author on tax issues involving FIRPTA, REITs and partnerships. He has published extensively on topics including transactions involving FIRPTA companies, section 1202, bankrupt partnerships and disregarded entities, debt-equity controversy and modern REITs and corporate tax, among many other topics. He is a member of the National Association of Real Estate Investment Trusts and repeatedly has been selected for inclusion in Chambers USA.


Jill Darrow focuses on financial services and private equity transactions, guiding clients through the tax aspects of fund and management company formation, partnership transactions and business acquisitions.

Valuable knowledge, clear communication, practical advice

Jill's broad knowledge, clear communication and practical advice make her a valuable part of our financial services and private equity representation. She speaks at conferences sponsored by Financial Research Associates and the Practicing Law Institute.

Associations and Committees

Ms. Darrow is a member of the Real Estate and Partnership Committees of the Tax Section of the American Bar Association, the Committee on Taxation of Business Entities of the Association of the Bar of the City of New York, NAREIT and the New York State Bar Association.

Lectures and Awards

Ms. Darrow is a frequent lecturer and author on such topics as taxation of real estate transactions, partnership tax issues, hedge funds and private equity funds.  She is listed in Super Lawyers, Best Lawyers and Who’s Who in America.

Education

Ms. Darrow received her undergraduate degree (A.B., 1975) from Barnard College, where she was elected to Phi Beta Kappa. She received her law degree (J.D., 1978) from the University of Pennsylvania Law School and her LL.M in Taxation (1983) from the New York University Law School.


Jim Lowy retired as a principal in the Joint Ventures and Partnership Tax Consulting Group of the National Tax Department of Ernst & Young LLP. He currently works as a part time consultant for Ernst & Young, and is an adjunct professor, teaching partnership taxation, at the UC Davis School of Law and the University of San Francisco School of Law (LL.M. program). Jim’s practice has involved advising businesses regarding the strategic use of partnerships in real estate opportunity funds, private equity funds, hedge funds, real estate ventures, operating joint ventures and miscellaneous business transactions. He also has advised real estate investment trusts and other significant real estate owners, including sovereign wealth funds and other foreign investors.

Jim is a former Chair of the Real Estate Committee and is a member of the Partnerships Committee of the ABA Tax Section. He is a frequent speaker and author on a variety of partnership and real estate topics. He is a fellow of the American College of Tax Counsel. Jim is the co-author of Real Estate Investment Trusts, a treatise currently available online as part of CCH’s Intelliconnect Real Estate Commentaries Series, and previously co-authored a regular column on REIT taxation in the Journal of Passthrough Entities.  Jim also authored or co-authored articles that appeared in the Journal of Taxation, Tax Notes, Journal of Partnership Taxation, Journal of Limited Liability Companies, Tax Management Real Estate Journal, the Proceedings of the NYU Tax Institute, and Major Tax Planning (USC Tax Institute Proceedings).

Prior to joining EY in 1997, Jim practiced law for 20 years as a partner in Sheppard, Mullin, Richter & Hampton LLP and Pettit & Martin. He received a B.S. from the Wharton School of the University of Pennsylvania and a joint J.D.-M.B.A. from UCLA.


Lary S. Wolf, for more than 40 years, has worked with U. S. and foreign clients to design tax-sensitive structures for the ownership, operation and disposition of real property. He has been active in all areas of real estate and partnership taxation, including the formation of REITs and the transfer of properties to REITs and umbrella partnerships. He has designed structures for domestic and international real estate funds that address the issues of foreign and exempt investors.  He is co-author of the book Federal Taxation of Real Estate, A Guide for Advisors and Investors. He has worked closely with New York State and City tax officials to devise solutions to industry problems involving real estate transaction taxes and was instrumental in developing the New York State and City tax legislation that made it feasible to use the REIT structure for New York properties. His experience with New York transaction taxes gives him a unique perspective in designing loan workouts on troubled properties. In addition to restructuring debt utilizing securitized financing and offshore sources, he has been involved in all aspects of complex bankruptcy reorganizations, including planning for federal, State and City taxes. He has worked with corporate debtors to reserve tax attributes, such as net operating loss carryovers.  He also assists clients in federal, New York State and City tax controversies. He has represented both private and publicly held companies with federal tax audits, appellate reviews and U.S. Tax Court litigation on complex issues involving valuation, inventories, capital/expense determination and net operating loss utilization. He is a member of the Advisory Boards of Tax Management and a member of the Board of Governors and Chairman of the Tax Policy Committee of the Real Estate Board of New York.

He received his B.A. and J.D. from Rutgers University, where he was an editor of the Law Review.

Practice Areas
•    Real Estate Taxation
•    State and Local Taxation
•    Tax Controversy and Litigation


Linda Z. Swartz is the Chair of Cadwalader’s Tax Group and a member of the Firm’s Management Committee. She focuses her practice on structuring investment vehicles and transactions for funds, family offices, partnerships and other asset managers; on structuring complex global mergers and acquisitions, spin-offs, joint ventures, and restructurings; and on foreign tax planning strategies. In addition being named one of 14 “Influential Women In Tax Law” by Law360, Linda has been consistently recognized as one of the country’s leading tax lawyers by independent commentators and industry publications, including Best Lawyers, Chambers USA, Euromoney, Expert Guides, International Tax Review, International Who’s Who, The Legal 500, Super Lawyers, Tax Directors Handbook, and Who’s Who in American Law, among other industry guides.

Linda has advised clients in numerous high-profile transactions, including:

  • Procter & Gamble in the split-off and tax-free merger of its Specialty Beauty business with COTY in a Reverse Morris trust transaction; the tax-free exchange of its Duracell business for P&G shares held by Berkshire Hathaway; the sale of the Pringles Group to Kellogg; the proposed tax-free distribution and acquisition of its Snack business to Diamond Foods; and the tax-free distribution and immediate acquisition of its Folgers Coffee business by J.M. Smucker;
  • U.S. Treasury Department Presidential Task Force on the Auto Industry with respect to the bankruptcy filings of General Motors and Chrysler;
  • LyondellBasell as lead debtor’s counsel in its chapter 11 case;
  • Northwest Airlines in its chapter 11 cases;
  • JPMorgan in the Centro Properties restructuring and in the Stations Casino chapter 11 cases; and
  • Pfizer in its acquisitions of Wyeth, Warner-Lambert and Pharmacia, and the respective sales of its Capsugel and consumer health businesses.

Linda is widely published on transactional tax issues and frequently speaks on a broad range of topics, including each year at the PLI conferences on corporate, partnership, and real estate tax issues. She is a Member of the Executive Committee of the New York State Bar Association Tax Section and has chaired its Tax-Free Reorganizations, Bankruptcy, Consolidated Returns, Real Property, and Tax Accounting and Basis Committees. She received her J.D. degree from the University of Pennsylvania Law School in 1987 and her B.A. degree, magna cum laude and Phi Beta Kappa, from Bucknell University in 1984.


Michael Hirschfeld is a Managing Director in the firm's US National Tax office, where he focuses on corporate, international and partnership tax planning and compliance. Michael has over 40 years of experience with tax issues that affect partnerships/LLCs, REITs, cross-border investing, real estate acquisition, finance and investment, private equity, distressed debt, mergers and acquisitions, pharmaceutical, energy, pharmaceutical and clean technology clients.

Michael was the chair of the Tax Section of the American Bar Association and a member of the Executive Committee of the Tax Section of the New York State Bar Association. He is also the former President of the Board at American Tax Policy Institute and an officer in the ABA Section of Real Property, Trust and Estate Law. Before Andersen Tax, Michael was a distinguished practitioner in residence at Cornell Law School and a retired law partner with an international law firm. 

He is recognized as a leading tax professional in global publications, including Best Lawyers in America, Who's Who in America, The International Who's Who of Business Lawyers, The International Who's Who of Corporate Tax Lawyers and New York Super Lawyers.

Michael is a frequent lecturer at the American Law Institute, the Association of the Bar of the City of New York, New York University, Practicing Law Institute, the International Fiscal Association and other organizations. He also published over 50 articles for The Journal of Taxation, The Journal of International Taxation and numerous additional global tax publications.

 

Education:

  • The City College of New York, B.E.E.
  • University of Pennsylvania Law School, JD
  • New York University School of Law, LLM

 

 

 


Based in Washington, D.C., Blake practices federal taxation, with emphasis on matters relating to partnership and real estate taxation. His practice includes planning, policy and controversy matters. He has extensive experience structuring large partnership and real estate transactions.

Blake is listed in The Best Lawyers in America and in Super Lawyers in both the tax and real estate categories. Chambers USA described him as “a masterful attorney whose expertise in partnerships and real estate is unparalleled;” “phenomenal for partnership tax issues;” “one of the best at tax structuring;” and “an absolutely sterling individual.” Legal 500 “highly recommends” him as an “industry leader” for both partnership and real estate matters; PLC Which Lawyer? recommends him as “highly regarded;” and Washingtonian Magazine named him as one of the top lawyers in Washington, D.C. He is also listed in Who’s Who in America and in Who’s Who in American Law.  He has been rated AV Preeminent by Martindale-Hubbell every year since 1997. He is the author of more than 180 professional articles, is a frequent lecturer on tax topics at conferences across the country, and has testified at the invitation of the U.S. House of Representatives Committee on Ways and Means as an expert on tax issues.

Blake has been active in both the District of Columbia Bar and the American Bar Association. He served as Chair of the 1,600 member District of Columbia Bar Section of Taxation, and twice served as Chair of its Passthroughs and Real Estate Committee. He served as Chair of the American Bar Association Section of Taxation Real Estate Committee. He serves as Partnership and Real Estate Chair for New York University’s Annual Institute on Federal Taxation, and also serves as Chair of three other annual national tax conferences. He served as Vice Chair of the Tax Policy Advisory Committee of the Real Estate Roundtable, and is a member of the National Association of Real Estate Investment Trusts.

Prior to joining EY in 2016, Blake was Global Vice-Chair of the U.S. & International Tax Group at McDermott Will & Emery and also Head of its Washington Tax Practice. Prior to that, Blake was Chair of the Tax Practice at Arnold & Porter. From 1984 through 1987, Blake served with the Office of Tax Legislative Counsel, U.S. Department of Treasury. He was deeply involved in the development of the Tax Reform Act of 1986 provisions and administrative guidance affecting partnerships and real estate. Before joining the Treasury Department, Blake practiced in Philadelphia and was an Adjunct Professor in Villanova University’s Master of Laws in Taxation program, where he taught courses on tax planning for real estate transactions.

 

J.D., cum laude, Order of the Coif, University of Pennsylvania School of Law

M.B.A., with distinction, Beta Gamma Sigma and Beta Alpha Psi, Wharton School of the University of Pennsylvania

B.A., Haverford College


Leslie Loffman is a Partner in the Tax Department and a member of the Real Estate Capital Markets Group, resident in the New York office. Les has more than 30 years of experience providing all aspects of tax structuring and business risk advice to REITs and real estate funds and their partners in the United States, Europe, and Asia, as well as to private equity funds, partnerships, corporations, and limited liability companies.

Les is the co-author of the two-volume treatise Tax Aspects of Real Estate Investments (Thomson Reuters Westlaw 1992) and was a regular columnist for the Journal of Passthrough Entities. He also has served on the board of contributing editors for the Journal of Real Estate Taxation.

A frequent lecturer on numerous tax issues, Les is co-chair of the Practising Law Institute’s Annual Real Estate Tax Forum. He regularly speaks on REITs real estate funds and other partnership structures, like-kind exchanges, investments by pension trusts and other tax-exempt entities, and tax aspects of workouts and bankruptcies. In addition, he has chaired New York University's Annual Conference on Real Estate and its Conference on Partnerships and other Passthrough Entities.

Les has been recognized by both Chambers Global and Chambers USA, which have described him as "a major force in the industry" and a "terrific lawyer who has spent his life on REIT work," adding that he "is a popular choice for tax structuring and business risk advice." Legal 500 has also cited Les for his REITs practice, noting he is "widely regarded as a leading individual" and "a really good REITs tax lawyer." In addition, he has repeatedly been included in New York Super Lawyers.


Sanford C. Presant, Chair of the firm's Real Estate Fund Practice, focuses his practice on providing fund and joint venture best practice business and tax structuring advice to sponsors of the leading real estate private equity funds, REITs, and their local partners and investors in the U.S. and internationally.

Sandy has more than 30 years of experience as a tax and business lawyer for major funds and real estate companies. He has structured and negotiated the tax and business aspects for over 100 real estate funds (including their internal general partner structuring and executive compensation) in the U.S., Europe, Latin America and Asia, and more than 500 joint ventures (partnerships and LLCs) as both a corporate and tax attorney. Sandy is a well-known author and frequent lecturer on these topics as well. Sandy was the National Co Chair - Real Estate Fund Services at Ernst & Young from 2000 - 2005 and was Chair of DLA Piper’s Real Estate Fund Practice.

Sandy served as National Chairman of the American Bar Association's Committee on Partnership Taxation, is a member of the ABA Task Force on Debt Restructurings and Bankruptcy, and chaired the ABA Task Forces on Publicly Traded Partnerships and Partnership Tax Allocation Rulings. He is on the Tax Policy Steering Committee of the State Bar of California, on the advisory board for California CEB's Advanced Tax Planning for Real Estate Transactions, on the Board of Advisors of the Loyola Law School Tax LL.M. Program, and is a member of the Advisory Board for CCH's Journal of Passthrough Entities. He has been a regular guest commentator on the PBS program The Nightly Business Report and has been a presenter at the California Economic Summit. For 15 years, Sandy was an adjunct professor at New York University's Real Estate Institute. He speaks annually at a number of the principal tax conferences throughout the country.

Sandy has been a program director of the NAREIT Law and Accounting Conference (REITWISE). He currently is a Co-Chair (and founder) of PLI's Annual Real Estate Tax Forum in New York. He is the co-author of the two-volume treatise Tax Aspects of Real Estate Investments. He has been named a California Super Lawyer. He is listed in The Best Lawyers in America and has been recognized as a leader in tax by Chambers.

Sandy has substantial experience in structuring funds and joint ventures to minimize UBTI and ECI, including the use of blocker structures(including private REITs) reducing the withholding and tax for cross border investors and tax-exempt.


Stef Tucker represents a wide variety of clients, from the entrepreneur and the professional, on the one hand, to publicly traded enterprises, such as real estate investment trusts, on the other hand. His practice encompasses the entire range of subjects from mergers and acquisitions, to entity planning, structuring and formation, to asset protection and preservation, to business transactions, to family business planning and wealth preservation. In addition, Stef has extensive experience in Federal and state income, estate and gift taxation, including tax audits. 

In many respects, Stef is a generalist, even in today’s world of specialists. His clients look to him to apply his breadth of experience and general knowledge in arriving at solutions to a wide range of business-oriented problems and issues and in structuring complex business arrangements and transactions. They also seek his assistance in connection with their personal financial matters and wealth preservation planning. 

Activities
Stef served as Chair of the American Bar Association Section of Taxation from 1998 to 1999, having previously served as Chair-Elect, as its Vice-Chair/Committee Operations, as a member of its Council, and as Chair of its Committees on Real Estate and Continuing Legal Education. 

Stef was an Adjunct Professor at Law at Georgetown University Law Center from 1990 through 2015, teaching Federal Taxation of Real Estate Transactions. He is a Visiting Lecturer at the University of Michigan Law School, teaching Business Planning and Tax Planning for Real Estate Transactions.