FacultyFaculty/Author Profile

Philip Wagman

Clifford Chance US LLP

New York, NY, USA


Philip Wagman is a partner in Clifford Chance's New York office. His practice focuses on the tax aspects of domestic and cross-border mergers, acquisitions, joint ventures, restructurings and financings.  He has represented clients in public and private, taxable and tax-free mergers, acquisitions and other corporate transactions in a range of industries.  He also regularly advises on structured finance and securitization transactions, equipment leasing, securities offerings and other financing transactions.

Mr. Wagman is recognized as a leading lawyer in Chambers USA: America’s Leading Lawyers for Business.  He is a member of the Executive Committee of the New York State Bar Association's Tax Section. He received his B.A. in 1991 from Yale College and his J.D. in 1994 from Yale Law School.  He also received an LL.M. in Taxation in 2001 from New York University Law School.  
 
Philip Wagman is associated with the following items:
Treatise Chapters  Treatise Chapters Selected Issues Relating to the Election to Defer COD Income - The Corporate Tax Practice Series (2018 Edition), Thursday, February 15, 2018
Web Segment  Web Segment Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning - Tax Cuts and Jobs Act Update 2018: Issues for U.S. Businesses and Individuals, Monday, April 23, 2018
MP3 Audio  MP3 Audio Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning - Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning, Monday, April 23, 2018
Transcripts  Transcripts Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning - Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning, Monday, April 23, 2018
MP4 - Mobile Video Seg  MP4 - Mobile Video Seg Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning - Business Interest Deductions under New Section 163(j): Interpretive Issues and Impact on Transaction Planning, Monday, April 23, 2018
On-Demand Web Programs  On-Demand Web Programs Tax Cuts and Jobs Act Update 2018: Issues for U.S. Businesses and Individuals, Thursday, April 26, 2018, New York, NY
CHB Chapters  CHB Chapters New Section 163(j): Interpretative Issues and Impact on Transaction Planning (PowerPoint slides) - Tax Cuts and Jobs Act Update 2018: Issues for U.S. Businesses and Individuals, Thursday, May 31, 2018
IRS Notice 2018-28: Initial Guidance Under Section 163(j) as Applicable to Taxable Years Beginning After December 31, 2017 - Tax Cuts and Jobs Act Update 2018: Issues for U.S. Businesses and Individuals, Thursday, May 31, 2018
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