Bradford E. LaBonte focuses his practice on US and international tax matters. He advises multinational corporations and investment funds on matters related to cross-border mergers and acquisitions, cash repatriation, controlled foreign corporation (CFC) and passive foreign investment company (PFIC) regimes, financial instrument classification, US trade or business determinations, US income tax treaty qualification and planning, and US withholding tax issues.
Bradford previously worked as a senior associate with a “Big Four” accounting firm. Prior to that, he gained experience in the Internal Revenue Service Office of Chief Counsel and in the California Department of Justice Office of the Attorney General. During law school, Bradford served as executive editor for the Berkeley Journal of Employment and Labor Law.
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