FacultyFaculty/Author Profile
Richard M. Lipton

Richard M. Lipton

Baker & McKenzie LLP

Chicago, IL, USA


Richard Lipton

Practice Description
Mr. Lipton has handled numerous engagements for clients in structuring partnership and real estate transactions, and providing legal advice relating to tax planning for corporations, partnerships and limited liability companies.

Mr. Lipton also has considerable experience in the areas of real estate investment trusts (REITs), real estate funds and investment in real estate by tax-exempt organizations and foreign investors. He has represented large corporations in complex partnership transactions, and has served as an expert witness on matters concerning partnerships and partnership taxation. He also has expertise in a number of other areas relating to tax law, including tax-exempt organizations and the rules involving UBIT, the tax consequences of bankruptcies and workouts and various tax accounting issues. He also provides tax advice to several professional sports franchises.

Professional Affiliations
Mr. Lipton is the former Chair of the Tax Section of the American Bar Association, the Chicago Bar Association Federal Tax Committee, and the American College of Tax Counsel.  He is a member of the House of Delegates of the American Bar Association.

Awards, Honors & Skills
Mr. Lipton served on the Internal Revenue Service Advisory Council.

Education & Bar Admittance
Mr. Lipton is a 1977 graduate of the University of Chicago Law School.  He received a B.A. from Amherst College. He served as a clerk for Judge Cynthia Hall of the United States Tax Court.

Publications, Presentations and Articles
Mr. Lipton has given numerous speeches at organizations throughout the United States, including the Tax Executives Institute, Practicing Law Institute, ALI-ABA, American Bar Association, University of Chicago Tax Institute and the Southern Federal Tax Institute, among others. 
 

Richard M. Lipton is associated with the following items:
Treatise Chapters  Treatise Chapters Will Black & Decker Turn Out to Be a Pyrrhic Victory for the IRS? - Partnership Tax Practice Series , Friday, September 24, 2010
Partner or Lender? Debt/Equity Issues Arise in Second Circuit’s Reversal of Castle Harbour - Partnership Tax Practice Series , Friday, September 24, 2010
Klamath Dispatches Another Tax Shelter, but Without Penalties - Partnership Tax Practice Series , Friday, September 24, 2010
The Tax Court Drains Canal Corporation - Partnership Tax Practice Series , Friday, September 24, 2010
Reliance on Tax Opinions: The World Changes Due to Long Term Capital Holdings and the American Jobs Creation Act - Partnership Tax Practice Series , Friday, September 24, 2010
LILO Transaction Upset by District Court on Motion for Summary Judgment in BB&T - Partnership Tax Practice Series , Friday, September 24, 2010
Tax Court Again Rejects Purchase from a Related Person of 1031 Replacement Property - Partnership Tax Practice Series , Friday, September 24, 2010
Bad Facts Result in a Taxpayer Loss in the First SILO Case to Be Adjudicated - Partnership Tax Practice Series , Friday, September 24, 2010
The World Changes: Broad Sweep of New Tax Shelter Rules in AJCA and Circular 230 Affect Everyone - Partnership Tax Practice Series , Friday, September 24, 2010
Who’s Afraid of Virginia Historic Tax Credit Fund? - Partnership Tax Practice Series , Friday, September 24, 2010
‘Son of BOSS’ Update: Summary Judgment on the Tax Liability in Cemco but No Fraud in Sala - Partnership Tax Practice Series , Friday, September 24, 2010
Castle Harbour III: A Taxpayer Victory As the District Court Refuses to Surrender - Partnership Tax Practice Series , Friday, September 24, 2010
IRS Provides Limited Relief for Section 1031 Exchanges That Fail Due to Default by a QI - Partnership Tax Practice Series , Friday, September 24, 2010
In Klamath, the Fifth Circuit Clarifies Its Test for Economic Substance - Partnership Tax Practice Series , Friday, September 24, 2010
No ‘Bliss’ in New Phoenix Sunrise—Tax Court Rejects and Penalizes a Tax Shelter Transaction - Partnership Tax Practice Series , Friday, September 24, 2010
Broad Scope of Section 470 Catches Many Non-Abusive Transactions - Partnership Tax Practice Series , Friday, September 24, 2010
What Hath Congress Wrought: The Amendment to Section 6694 Will Cause Major Problems for Everyone - Partnership Tax Practice Series , Friday, September 24, 2010
Son of BOSS Transactions: Taxpayers Win the First Round in Klamath - Partnership Tax Practice Series , Friday, September 24, 2010
U.S. Taxation of Private Equity and Hedge Funds - Partnership Tax Practice Series , Friday, September 24, 2010
IRS Misses on the Boardwalk - Partnership Tax Practice Series , Friday, September 24, 2010
Passive Losses, LLCs and LLPs—Courts Reject IRS’ Attempt to Limit Losses - Partnership Tax Practice Series , Friday, September 24, 2010
What Will Be the Long-Term Impact of the Sixth Circuit’s Divided Decision in DOW Chemical? - Partnership Tax Practice Series , Friday, September 24, 2010
Final Regulations for the Tax Shelter Disclosure Regime—Making the Rules More User Friendly - Partnership Tax Practice Series , Friday, September 24, 2010
New Tax Shelter Cases and Notices Put Spotlight on the Economic Substance Doctrine - Partnership Tax Practice Series , Friday, September 24, 2010
The ‘State of the Art’ in Like-Kind Exchanges, 2009 - Partnership Tax Practice Series , Friday, September 24, 2010
A Tale of Two Cases: G-I Holdings and Virginia Historic Tax Credit Fund—Can They Both be Right? - Partnership Tax Practice Series , Friday, September 24, 2010
CA-7 Sinks Penalties in One Son-of-BOSS Case, While Reg 1.752-6 Is Torpedoed Again in Another - Partnership Tax Practice Series , Friday, September 24, 2010
Flextronics, Sundrup, and the Application of the Economic Substance Doctrine - Partnership Tax Practice Series , Friday, September 24, 2010
What Will Be the Impact of the Government’s Victory in Coltec? - Partnership Tax Practice Series , Friday, September 24, 2010
Hoosier Energy and the Limits of the Tax Law - Partnership Tax Practice Series , Friday, September 24, 2010
Court of Federal Claims Rejects Taxpayer’s Claims of a Business Purpose in Heinz - Partnership Tax Practice Series , Friday, September 24, 2010
Briarpark and the Unexpected Limits to Careful Tax Planning - Partnership Tax Practice Series , Friday, September 24, 2010
Final Corporate Tax Shelter Disclosure and List Maintenance Regulations Impose Burdens on Everyone - Partnership Tax Practice Series , Friday, September 24, 2010
Debt Workout Issues for REITs Are Complicated, Whether They Are Debtors or Creditors - Partnership Tax Practice Series , Friday, September 24, 2010
Taxable Sale or Nontaxable Reorganization? Tax Court Draws a Distinction in Tribune Company - Partnership Tax Practice Series , Friday, September 24, 2010
When Is a Partner Not a Partner? - Partnership Tax Practice Series , Friday, September 24, 2010
‘Codification’ of the Economic Substance Doctrine—Much Ado About Nothing? - Partnership Tax Practice Series , Friday, September 24, 2010
Delaware Statutory Trusts and 1031: A Marriage Made in Heaven or Just a Pipe Dream? - Corporate Tax Practice Series , Wednesday, March 23, 2011
CHB Chapters  CHB Chapters The Troubled Partnerships: Workouts and Restructuring Transactions (Chicago PowerPoint Slides) - Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2013 , Tuesday, April 30, 2013
IRS Attacks the Tribune’s Leveraged Partnership Transactions - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013
In Consolidated Edison, Federal Circuit Upsets a LILO Transaction—Did it also Upset the Law on Step Transactions and Substance Over Form? - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013
Securities Loans and Economic Substance— IRS Gets it Wrong - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013
Legitimate and Illegitimate Tax Planning— Two Recent Cases Show the Way - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013
Historic Boardwalk—Has the IRS Managed (Again) to Shoot Itself? - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, October 16, 2013
Live Seminar  Live Seminar Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Tuesday, November 19, 2013 , Chicago, IL
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2013 , Wednesday, December 04, 2013 , Los Angeles, CA
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2012 , Tuesday, November 06, 2012 , Chicago, IL
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2012 , Wednesday, December 05, 2012 , Los Angeles, CA
Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2013 , Tuesday, April 30, 2013 , Chicago, IL
Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2013 , Tuesday, June 11, 2013 , San Francisco, CA
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