FacultyFaculty/Author Profile
Kimberly S. Blanchard

Kimberly S. Blanchard

Weil, Gotshal & Manges LLP

New York, NY, USA


Kim Blanchard is a partner in the firm's Tax department whose practice encompasses a variety of largely international transactions involving corporate acquisitions and mergers, internal restructurings, business formations and joint ventures. Ms. Blanchard also advises domestic, foreign and multinational clients in connection with venture capital investment and fund formation, partnerships, real estate, executive compensation and exempt organization issues.

Ms. Blanchard has lectured and published extensively on topics ranging from international tax planning for US businesses to the special tax issues facing foreign persons, pension plans and other exempt investors who invest in US private equity partnerships and in US real estate.

Ms. Blanchard has been consistently recognized as a leading Tax lawyer by Chambers USA, Chambers Global, and Best Lawyers in America. In addition, she was named a "Most Highly Regarded" lawyer by Who's Who Legal: The International Who's Who of Corporate Tax 2012 and one of America's "Top 25 Pre-Eminent Tax Lawyers" by The Best of the Best USA 2010.

Ms. Blanchard is a former chair of the New York State Bar Association Tax Section. As a member of the Tax Section since 1996, she has authored several reports and has participated in the preparation of many others. She is active with the American Bar Association's international tax committees and is a member of both the Tax Forum and the Tax Review paper and discussion groups. Ms. Blanchard is also a Fellow of the American College of Tax Counsel. Most recently, she was nominated to the Editorial Board of the Tax Management International Journal and was invited to be a founding member of Practical Law Company's US advisory board. In addition, Ms. Blanchard is a member of the Board of Trustees of the American Indian College Fund (2010-present).

Kimberly S. Blanchard is associated with the following items:
Treatise Chapters  Treatise Chapters Special Problems of Foreign Partners - Partnership Tax Practice Series , Friday, September 24, 2010
The Unresolved Tax Status of Multinational Service Partnerships and Their Partners - Partnership Tax Practice Series , Friday, September 24, 2010
Cross-Border Tax Problems of Investment Funds - Partnership Tax Practice Series , Friday, September 24, 2010
Cross-Border Tax Problems of Investment Funds - Corporate Tax Practice Series , Wednesday, March 23, 2011
The Tax Treatment of Earnouts in Business Acquisitions - Corporate Tax Practice Series , Wednesday, March 23, 2011
Cross-Border Acquisition Patterns Implicating Section 338: Recommendations for Reform; And Chapter 258A: Section 338 Elections in the Age of Covered Asset Acquisitions - Corporate Tax Practice Series , Wednesday, March 23, 2011
Guidance Under Section 956: A Small Part of the Solution to the Lending Drought - Corporate Tax Practice Series , Wednesday, March 23, 2011
Is There a FIRPTA Tax or Withholding on REIT Distributions Attributable to Sales of USRPIs?: Section 897(h)(1) and New Section 1445(e)(6) - Corporate Tax Practice Series , Wednesday, March 23, 2011
CHB Chapters  CHB Chapters PFICs - Basics of International Taxation 2012 , Monday, July 23, 2012
An Introduction to PFICs (PowerPoint Slides) - Basics of International Taxation 2012 , Monday, July 23, 2012
An Introduction to PFICs - Basics of International Taxation 2012 , Monday, July 23, 2012
FIRPTA in the 21st Century--Installment Three: FIRPTA and Foreign PTPs - International Tax Issues 2013 , Thursday, January 31, 2013
FIRPTA in the 21st Century--Installment Six: FIRPTA Withholding Where a Section 892 Investor Is a Partner - International Tax Issues 2013 , Thursday, January 31, 2013
Infrastructure and FIRPTA: Advanced Notice of Proposed Rulemaking - International Tax Issues 2013 , Thursday, January 31, 2013
FIRPTA in the 21st Century--Installment Two: The 5% Public Shareholder Exception - International Tax Issues 2013 , Thursday, January 31, 2013
Section 892 Controlled Commercial Entities: The USRPHC Trap - International Tax Issues 2013 , Thursday, January 31, 2013
New York State Bar Association Tax Section Report on IRS Announcement 2008-115 on FIRPTA Treatment of Rights Granted by a Governmental Unit - International Tax Issues 2013 , Thursday, January 31, 2013
Pepsico Puerto Rico, Inc. Et Al. v. Commissioner, TC Memo 2012-269, Code Sec(s) 385 - International Tax Issues 2013 , Thursday, January 31, 2013
Web Segment  Web Segment Passive Foreign Investment Companies (PFICs) - Basics of International Taxation 2012 , Wednesday, July 25, 2012
Inbound Issues and Planning - International Tax Issues 2013 , Monday, February 04, 2013
MP3 Audio  MP3 Audio Basics of International Taxation: Passive Foreign Investment Companies (PFICs) - Passive Foreign Investment Companies (PFICs) , Wednesday, July 25, 2012
International Tax Issues 2013: Inbound Issues and Planning - Inbound Issues and Planning , Tuesday, February 05, 2013
MP4 - Mobile Video Seg  MP4 - Mobile Video Seg Basics of International Taxation: Passive Foreign Investment Companies (PFICs) - Passive Foreign Investment Companies (PFICs) , Wednesday, July 25, 2012
International Tax Issues 2013: Inbound Issues and Planning - Inbound Issues and Planning , Tuesday, February 05, 2013
On-Demand Web Programs  On-Demand Web Programs Basics of International Taxation 2012 , Tuesday, August 07, 2012 , New York, NY
International Tax Issues 2013 , Thursday, February 14, 2013 , New York, NY
DVD Video  DVD Video Basics of International Taxation 2012 , Tuesday, September 04, 2012 , New York, NY
Live Seminar  Live Seminar Basics of International Taxation 2013 , Tuesday, July 23, 2013 , New York, NY
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013 , New York, NY
Basics of International Taxation 2012 , Monday, July 23, 2012 , New York, NY
International Tax Issues 2013 , Thursday, January 31, 2013 , New York, NY
Live Webcast  Live Webcast Basics of International Taxation 2013 , Tuesday, July 23, 2013 , New York, NY
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013 , New York, NY
PLI Grpcast-Live Web  PLI Grpcast-Live Web Basics of International Taxation 2013 , Tuesday, July 23, 2013 , New Brunswick , NJ
Basics of International Taxation 2013 , Tuesday, July 23, 2013 , Mechanicsburg, PA
Basics of International Taxation 2013 , Tuesday, July 23, 2013 , Pittsburgh, PA
Basics of International Taxation 2013 , Tuesday, July 23, 2013 , Philadelphia, PA
Basics of International Taxation 2013 , Tuesday, July 23, 2013 , Cleveland, OH
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