With over three decades of experience, Lisa works with clients on a variety of complex tax issues. She is a technical resource for U.S. international tax matters and complex corporate tax matters including restructuring, acquisitions, divestitures, distributions, liquidations and income tax provision specialty topics such as purchase accounting.
Lisa gained extensive experience working for Big Four accounting firms providing tax compliance, tax due diligence, tax structuring and tax accounting services for public and privately-held companies in various industries. She also has prior experience as the tax director of a multi-dimensional tax department with a former major publicly-traded airline.
Currently, Lisa focuses on U.S. international taxation. She advises U.S. multi-national clients on the U.S. tax implications of cross border transactions including doing business in a foreign country and owning a foreign entity. Lisa also advises foreign corporations and non-resident individuals on the tax implications of investing in and doing business in the U.S. In connection with U.S. international tax, Lisa advises clients on residency rules, sourcing of income and expenses, IRS reporting, U.S. income tax withholding, “check-the-box” elections and income tax treaty positions.