Mark Miller focuses his practice on transactional tax matters, including structuring of corporate, partnership and limited liability company transactions such as formation, joint ventures, acquisitions, dispositions, and reorganizations. His experience includes general tax counsel for M&A transactions; corporate, partnership and limited liability company (LLC) formation and operations, including drafting of partnership and LLC agreements, as well as compensation and equity incentive arrangements; negotiation and drafting of tax provisions of various transaction agreements and documents; customized tax advice to healthcare companies, surgery centers, hospitals and physician groups; counsel to tax-exempt organizations, including nonprofit hospitals and other healthcare entities; formation and structuring of real estate funds; and advising on Section 1202 qualified small business stock (QSBS) issues.
With more than 25 years of tax practice, Mark has the high-level technical knowledge and distinct ability to find creative and practical solutions to help achieve clients' business goals in the most tax-efficient manner. Mark also has substantial experience in the resolution of federal tax controversies, including the representation of clients in disputes before the U.S. Tax Court, U.S. district courts, the IRS Appeals and Examination Division, and the IRS National Office.