Philip concentrates his practice in international tax, including legal and operational structuring, general international tax planning matters, global transfer pricing strategy and documentation, cross-border mergers, acquisitions, dispositions and joint ventures, and international tax controversy. He has led dozens of international structuring projects for companies across a wide spectrum of industries and jurisdictions, and his clients include leaders in the financial, high technology and consumer products industries.
- LL.M., New York University 1990
- J.D., Hofstra University School of Law 1983
- M.B.A., Hofstra University 1983
Phil has been recognized by The Legal 500 United States.
Before joining DLA Piper, Philip was with a Big 4 accounting firm, where he represented numerous Fortune 100 companies in their international tax planning, advising them on a broad range of cross-border issues, including international restructuring, post-merger and post-acquisition integration, repatriation planning, global supply chain planning and IP migration.