Matthew D. Schnall represents clients in a variety of complex business-related tax matters, including mergers, acquisitions, and other transactional tax matters for public and privately held companies; the formation, structuring, and restructuring of investment funds; and real estate development, leasing, and joint ventures. He represents clients in federal and state tax controversy matters, from audits to administrative appeals to tax litigation. Matt’s federal tax practice covers a full range of corporate, partnership, and international tax issues. He also has a robust state and local tax (SALT) practice, covering issues including corporate and personal income taxes, franchise taxes, sales and use taxes, property taxes, and constitutional issues..