
Bradford E. LaBonte
Professional Bio
Bradford E. LaBonte focuses his practice on US and international tax matters. He advises multinational corporations and investment funds on matters related to cross-border mergers and acquisitions, cash repatriation, controlled foreign corporation (CFC) and passive foreign investment company (PFIC) regimes, financial instrument classification, US trade or business determinations, US income tax treaty qualification and planning, and US withholding tax issues. Read Bradford LaBonte's full bio.
Proposed Regulations under Section 956 Provide Benefits for Corporate Taxpayers
Tax Controversy 360 ·
The Senate’s New Base Erosion Tax: Highlights for Renewable Energy
Energy Business Law ·
IRS Issues Guidance on Tax Treatment of Energy Savings Performance Contracts
Energy Business Law ·
IRS Issues IPU on Summons of Foreign Owned US Businesses
Tax Controversy 360 ·
IRS Issues Additional Guidance on Beginning of Construction Rules for Renewable Projects
Energy Business Law ·