Frank Mugabi advises on a wide range of international tax matters for clients in various industries, including repatriation planning, cross-border mergers and acquisitions, holding company planning and U.S. income tax treaties.  He also focuses on the tax aspects of private equity, partnerships and other joint venture arrangements, mergers and acquisitions, transactions under Chapter XI of the US Bankruptcy Code, and oil & gas transactions (including unitizations and other sharing arrangements, joint operating agreements, as well as master limited partnerships).

Frank has represented Mexican REITs (FIBRAs) and underwriters in US IPOs, fund managers in connection with the tax aspects of fund formation and investment activities (including structuring and negotiating acquisitions and dispositions of portfolio companies by private equity funds), and has advised investors, including institutional and sovereign/governmental investors, in structuring investments in investment funds.

Frank regularly drafts and negotiates tax provisions in stock purchase agreements, asset purchase agreements, and LLC and partnership agreements.