David G. Levere
David Levere represents both U.S. and international multinational corporations on a broad range of issues in the international tax realm. His practice covers international M&A, post-merger restructuring and integration, Subpart F, foreign tax credit, repatriation, inbound financing, permanent establishment, capital markets and tax treaty matters. He has particular experience with planning for joint ventures and partnerships in the cross-border context. Mr. Levere also has a working knowledge of the tax systems of most of the major countries in Europe, Asia and Latin America, which he has gained through more than 15 years of representation of clients in a large number of transactions that included local country planning, cross-border M&A, restructuring, repatriation and other planning.