McDermott Will & Emery LLP
Michael Bruno focuses his practice on international tax planning, corporate tax, partnership tax, and wealth management planning. He advises individuals, partnerships, and corporations on a host of complicated US tax matters. Michael has authored numerous articles on international tax planning.
Michael regularly advises corporate clients and funds on mergers, acquisitions, restructurings and divestitures in a variety of business contexts. He has assisted companies with a number of international tax issues, including intellectual property migrations, Subpart F, GILTI, and FDII planning, foreign tax credit planning, tax-efficient cash repatriation strategies and post-acquisition integration and implementation. Michael also has experience in advising companies on cross-border tax matters involving technology, digital goods and services.
Michael also regularly advises foreign individuals on tax efficient mechanisms for doing business in the United States, investing in US real estate, and pre-immigration planning. He regularly advises US individuals on matters that include making investments and doing business outside the United States, expatriations, and general tax planning for US investments and business. He also has experience in advising athletes, entertainers, and related organizations on unique tax matters.