Allan Rosenbloom concentrates in corporate and international tax matters, representing both foreign and United States publicly and closely held corporations as well as foreign financial institutions. He represented various foreign financial institutions in connection with the Treasury Department's final nonresident withholding regulations. Allan has extensive experience in cross-border financing transactions, corporate mergers and acquisitions, domestic and international investment transactions, and other transactional matters.
He handles audit and controversy matters and has extensive experience negotiating with field agents, appeals officers and district counsel in settling significant audit issues.
Activities and Affiliations
Allan is a member of the tax sections of the American and New York State Bar Associations and is a fellow of the American College of Tax Counsel. He has lectured extensively in the field of federal taxation and has chaired various panels and seminars dealing with corporate income tax matters.