Travis Blais

Travis is the Managing Partner of Blais Halpert Tax Partners LLP. He structures, negotiates, and drafts for tax matters in high-value business transactions, including mergers & acquisitions, cross-border investment structuring, the formation of private equity and venture capital funds and other pooled investment vehicles, and executive compensation plans.

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David Halpert

David is among Boston’s most experienced tax lawyers and has led tax planning for hundreds of transactions having values between $10 million and $500 million. For over 35 years, he was a tax partner at Mintz Levin, where he advised on mergers and acquisitions, partnership and joint venture structures, private equity investments, finance, executive compensation, and insolvency proceedings.

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Michael Lieberman

Mike has practiced tax law for over 40 years in Boston and New York City, including over 20 years as the Chair of the Tax Section at Mintz Levin. He has advised on many hundreds of significant M&A transactions and initial public offerings for public and private companies, private equity and venture capital funds, and management teams.

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Benjamin Damsky

Ben’s practice focuses on the tax aspects of mergers and acquisitions and other strategic transactions. He regularly represents growth companies, along with their founders and investors, throughout their life cycle from formation to exit. Ben is equally active on the buy-side, regularly assisting his middle market private equity clients and other institutional investors and their portfolio companies in acquisitions and dispositions.

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Deirdre Harrington

Deirdre supports clients on a variety of domestic and cross-border corporate, partnership, and private equity tax issues, including with respect to mergers and acquisitions, CFC and PFIC considerations, tax treaty eligibility, and withholding obligations. Prior to joining Blais Halpert, Deirdre worked in New York City as a tax associate at Norton Rose Fulbright.

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Matthew Woodbury

Matt’s practice focuses on the tax aspects of mergers and acquisitions, venture capital investments, cross-border/international tax, and exempt organizations. He regularly drafts complex tax provisions for high-stakes transactions, advises clients on the U.S. tax consequences of domestic and international investments, deferred compensation arrangements, and novel tax issues. 

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Jessica Omo

Jessica supports clients on a variety of domestic and cross-border tax matters involving mergers and acquisitions, private equity and venture capital funds, restructuring, tax withholding obligations, state tax clearance, and qualified small business stock.

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Katherine Sarkar