Charles E. Chromow
Mr. Chromow’s practice focuses on taxation, including: US taxation of cross-border transactions; mergers, acquisitions dispositions and other corporate transactions; US taxation of private equity and hedge funds; partnerships and limited liability companies; and controversies with the Internal Revenue Service, with a principal focus on disputes involving US taxpayers holding funds in foreign accounts.
Prior to affiliating with the firm in 2009, he served as an Executive Director with Ernst & Young LLP for almost ten years, where he specialized in optimizing the federal income tax consequences of mergers and acquisitions. For a number of years, he managed the domestic tax planning group at The Chase Manhattan Bank, where he acquired considerable experience and expertise in federal income tax issues of financial institutions.
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