FacultyFaculty/Author Profile
Nicholas J. DeNovio

Nicholas J. DeNovio

Latham & Watkins LLP

Washington, DC, USA


Nicholas J. DeNovio is a partner in the Washington, D.C. office of Latham & Watkins.  He serves as Global Chair of Latham’s International Tax Practice and is a member of the firm’s Audit Committee and Strategic Client Committee. Throughout his career, Mr. DeNovio has represented large US and non-US based multinational corporations on complex cross-border transactions involving mergers and acquisitions, spin-offs, financings and group structuring. He has represented a number of the world's leading corporations on multi-billion dollar transactions covering jurisdictions around Europe, Asia and the Americas.

From 2003 – 2005, Mr. DeNovio served as Deputy Chief Counsel (Technical) at the IRS Office of Chief Counsel where he handled overall management and substantive tax aspects of the regulatory guidance process of the IRS National Office and taxpayer-specific guidance, led the regulatory guidance required after the enactment of the American Jobs Creation Act, and served as principal technical legal resource for the operating divisions of the IRS.

Mr. DeNovio is consistently ranked by The Legal 500 US, Chambers USA and Super Lawyers as one of the leading tax lawyers in the District of Columbia. In addition, The Legal 500 US and Chambers Global regularly recognize him for his international tax work. Mr. DeNovio is a renowned speaker and writer for organizations such as Tax Executives Institute (TEI), Practicing Law Institute (PLI), International Fiscal Association (IFA), National Foreign Trade Council (NFTC) and various bar associations.

Nicholas J. DeNovio is associated with the following items:
CHB Chapters  CHB Chapters New Regulations Modify Application of Section 7874 to Inversion Transactions and Limit US Tax Benefits of Post-Inversion Planning - International Tax Issues 2016 (Chicago), Tuesday, September 13, 2016
Latham & Watkins Client Alert Commentary: Treasury Issues Stringent Inversion Regulations, Proposes Far-Reaching Related-Party Debt Rules (April 21, 2016) - International Tax Issues 2016 (Chicago), Tuesday, September 13, 2016
Latham & Watkins Client Alert Commentary: Treasury Issues Stringent Inversion Regulations, Proposes Far-Reaching Related-Party Debt Rules (April 21, 2016) - International Tax Issues 2017, Monday, September 11, 2017
Web Segment  Web Segment Cross-Border Mergers, Post-Acquisition Integration and Other International Issues - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2017, Friday, October 27, 2017
MP3 Audio  MP3 Audio Cross-Border Mergers, Post-Acquisition Integration and Other International Issues - Cross-Border Mergers, Post-Acquisition Integration and Other International Issues, Friday, October 27, 2017
MP4 - Mobile Video Seg  MP4 - Mobile Video Seg Cross-Border Mergers, Post-Acquisition Integration and Other International Issues - Cross-Border Mergers, Post-Acquisition Integration and Other International Issues, Friday, October 27, 2017
On-Demand Web Programs  On-Demand Web Programs Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2017, Wednesday, November 01, 2017, New York, NY
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