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Professional Biography |
Howell
chairs the firm’s Corporate,
E-Business and General Business and Taxation
Groups. On the tax side, Howell gets involved in the more
complex tax problems associated with mergers and acquisitions,
S corporations, partnership transactions, real estate transactions,
workouts and bankruptcy, international transactions, and estate
planning. Howell is also a frequent lecturer before professional
groups on the subject of tax planning and related issues.
Click at Attorney News for items of news for Howell published on our web site. Click at Speaking
Engagements for a recent partial list of some of Howell’s
speaking engagements before various professional groups. |
Areas of Experience: |
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Sophisticated Tax
Planning for Individual and Corporations |
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Estate Planning
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Corporate Transactions
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Planned Giving
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IRS Audits |
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Significant Matters and Cases: |
Corporate
Transactions |
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Howell recently
handled a sale of a privately held corporation to
a New York Stock Exchange corporation for a purchase
price of over $18 Million. The transaction was structured
as a tax-free merger and the consideration was paid
half in cash and half in stock of the purchaser. |
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Another recent
transaction was the sale of a privately held corporation
on the installment basis for a purchase price of $1.8
Million. |
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Over the last few
years, Howell represented a NASDAQ corporation in
a number of acquisitions where the purchase price
ranged from $2 Million to $12 Million. Some of these
were for cash, and others were for a combination of
cash and stock. |
Tax
Litigation and Settlements |
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Real
Estate Transactions |
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Howell recently
structured the sale of a 90-acre "tree farm"
in a like-kind transaction whereby the client deferred
a portion of the gain on the sale by reinvesting part
of the proceeds in several other pieces of real estate.
The total consideration was approximately $4 Million.
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Over the years,
Howell has been involved in structuring a number of
real estate syndications involving shopping centers,
office buildings and apartment buildings.
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Professional and Community Involvement: |
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President, Estate
Planning Council of Westchester County (2000) |
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Vice President,
Estate Planning Council of Westchester County (1999)
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Executive Committee,
Benjamin Cardozo Society |
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Education: |
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L.L.M.,
Taxation, New York University, 1980 |
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Journals and Publications |
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Proposed Regulations Provide Operating Rules for Bankruptcy
Exception to Ownership Change Limits (The Journal of Taxation,
March, 1992)
•Tax Consequences of Cancellation of Nonrecourse Debt
Remain Unsettled (The Journal of Taxation, August, 1990)
• Are Takeover Costs Deductible After National Starch?
(The Journal of Taxation, December, 1989)
Trusts as beneficiaries of IRAs (individual retirement accounts)(The
CPA Journal, April, 1991)
• Tax Law Changes Affecting Estate Planning (Legal
Notes, Spring 1998)
• Waiver of Notification Rights (Legal Notes, Winter
1996)
• New York Enacts Limited Liability Company Law (Legal
Notes, Winter, 1994)
• The Rebirth of Real Estate Investment Trusts (Legal
Notes, Spring, 1994)
• New Compliance Rules Concerning Charitable Contributions
(Legal Notes, Spring, 1994)
• Clinton's Tax Act (Legal Notes, Fall 1993)
• Distributions from Individual Retirement Accounts
(Legal Notes, Summer, 1993)
• New Legislation Affects Spouse's Right of Election
in New York State (Legal Notes, Fall 1992)
• Estate Planning Strategies in Light of the Revenue
Reconciliation Act of 1990 (Legal Notes, Spring, 1992)
• Proposed Regulations Provide Operating Rules for
Bankruptcy (Legal Notes, Spring, 1992)
• Taxes and Takeovers (Legal Notes, Spring, 1990)
• Cancellation of Non-Recourse Debt: Tax Consequences
(Legal Notes, Spring, 1991)
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Admitted to Practice:
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New York |
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Florida |
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Connecticut |
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United States Tax
Court |
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