Joseph Langhirt concentrates on federal, foreign and state income tax matters, particularly those involving reorganizations and acquisitions, consolidated return regulations, asset sales and transfers, leasing transactions, tax attribute survival and limitations, and original issue discount issues.

Joseph has advised clients regarding state tax legislation and has drafted income tax legislation concerning the Maryland corporate income tax treatment of regulated investment companies, real estate investment trusts, REMICs and special federal tax entities. He also regularly reviews prospectus descriptions of the state and local tax consequences of investing in mutual funds.