Justin G. Crouse focuses his practice on domestic and international tax matters for US and non-US multinational companies, closely-held businesses, family offices and high net worth individuals. Justin regularly advises clients on a broad range of tax issues, including tax-efficient structuring of acquisitions, dispositions, financings, internal reorganizations and joint ventures, as well as post-acquisition integration and implementation. Justin also has extensive experience advising clients on cross-border tax issues, including Subpart F, GILTI, and PFIC anti-deferral rules, foreign tax credit planning, and source of income and withholding tax issues, including FATCA and treaty analysis.
While in law school, Justin was an associate editor of the Syracuse Law and Technology Journal.