IN-PERSON
Austin, TX
May 8 - 10, 2024
May 8 - 10, 2024
Over the past decade, McDermott’s Family Office Symposium has become a cornerstone event for family office decision-makers, providing a unique platform to explore the evolving landscape of wealth management and build connections with peers.
Our Family Office Symposium 2024 gathered more than 275 family office executives to explore creative solutions to navigate complexity and gain fresh perspectives on building continuity across generations. Over two days, participants heard from leading family offices and McDermott partners on the latest developments impacting family offices and exchanged insights on strategies to manage wealth and legacy in a dynamic environment.
View the key takeaways from the Family Office Symposium 2024 event.
Robert (“Robbie”) Barton represents individuals, families, charitable institutions and foundations, corporate trustees, and fiduciaries in litigation involving complex trusts and estates. He provides guidance on trust and estate administration, conservatorship and guardianship matters, and claims involving elder abuse. Robbie works with clients to develop creative and effective solutions that protect and advance their interests, representing them in high-profile and complex trust and estate disputes in federal, state, and tribal courts throughout the United States.
Widely recognized by his peers as a leading trusts and estates lawyer, Robbie has served on the California Lawyers Association’s Trusts and Estates Executive Committee and was the editor in chief for the Association’s Trusts and Estates Quarterly. Robbie is also the co-chair of the Probate and Fiduciary Litigation Committee as part of the American Bar Association’s Real Property, Trust and Estate Law Section and is an Articles Editor for Probate and Property magazine. He publishes and speaks on new laws and cutting-edge legal issues. Robbie is co-leader of the Firm’s Private Client Disputes Affinity Group.
Daniel (Danny) J. Bell focuses his practice on domestic and international estate, gift and income tax planning. He has assisted clients with cutting-edge estate, income and gift tax mitigation strategies, including domestic and offshore tax compliance, tax controversy and litigation, pre-immigration, expatriation and business succession planning, estate and trust administration, as well as family multigenerational wealth preservation. Danny has also advised high-net-worth individuals with sophisticated tax and wealth transfer planning and implementation.
Bobbi J. Bierhals has built her practice by developing creative and customized solutions for her clients. Her experience centers on tax and business planning for high-net-worth individuals and families. Her clients range from executives and first-generation entrepreneurs to multi-generational families, with net worth from $100 million to many billions of dollars, and include a number of individuals listed in the Forbes 400.
Bobbi’s breadth of experience across a wide range of client profiles enables her to help them identify and structure tax-advantageous structures for transferring wealth and business interests to younger generations. While many other estate planners focus almost exclusively on tax issues, Bobbi takes a holistic approach that balances tax and family considerations to fit each individual client’s goals. With a geographically diverse client base spanning the United States, Bobbi adeptly navigates the nuances of local law while addressing broader federal tax considerations.
Because of her extensive experience working with multi-generational, business-owning families, Bobbi is an expert in assisting owners of closely held businesses and their family offices with their unique planning needs. She advises her clients on private trust companies, corporate governance, succession planning, wealth transfer planning and family office structuring. She also coordinates other legal needs of family offices, from corporate transactions and real estate, to direct investing, employment law and aircraft acquisition, bringing in lawyers from McDermott or identifying external counsel as appropriate to provide the highest level of quality and service to her clients. Bobbi also has a particular interest in family law issues and has significant experience negotiating pre-marital agreements and partnering with family law attorneys to obtain desirable results in high-net-worth divorces.
Bobbi has received numerous accolades and industry recognitions, with Chambers High Net Worth reporting from its sources that Bobbi is “wicked smart and very strong technically…if you need the right answer and your life and company depend on it, you call Bobbi…her reasoning and attention to detail are industry-leading.” Leading publications such as The Wall Street Journal, Forbes, Business Week, MSN Money, Private Wealth magazine and Financial Advisor magazine have quoted Bobbi frequently on various family office and estate planning topics. A member of the American College of Trust and Estate Counsel (ACTEC), Bobbi has also taught legal research and writing at Harvard Law School.
Scott A. Bowman’s practice focuses on providing personal tax and estate planning counseling to wealthy individuals and families, advising them on structuring their wealth to minimize income, estate, gift and generation-skipping transfer taxes over multiple generations. He advises on trustee and family governance structures throughout the estate and trust administration process to preserve business enterprises and manage potentially sensitive family circumstances.
Scott is experienced in handling international aspects of tax and estate planning for multi-national families, advising non-US citizens who are considering immigrating to the United States, investing into US financial and real estate markets or transferring wealth to US beneficiaries by gift or inheritance. Scott also advises US clients living or investing abroad and with regard to US expatriation.
Tom Conaghan is co-head of the firm’s Media, Entertainment & Sports practice, co-head of the firm’s Capital Markets and Public Companies Practice Group, and partner-in-charge of the Corporate Group in the Washington, DC office.
As leader of the firm’s award-winning Sports practice, Tom represents teams, owners, and investors across all major U.S. professional sports leagues, as well as US, and international and emerging leagues, on a broad range of matters, including ownership transfers, capital raising transactions, and M&A transactions. Tom frequently represents clients on high-profile deals across the industry, helping drive the continued growth of McDermott’s Sports practice, which was named “Practice Group of the Year” by Law360 in 2025 and ranked among the leading Sports Law practices in the US by Chambers USA and The Legal 500 in 2026.
As the co-head of the Capital Markets practice, Tom represents public and private companies, underwriters and other sources of capital, corporate boards and board committees, and corporate executives. He advises US- and foreign-based public companies on issues relating to mergers and acquisitions (M&A), joint ventures, strategic investments, spin-offs, public and private offerings of securities (including initial public offerings (IPOs)), disclosure, Securities and Exchange Commission (SEC) reporting, corporate governance, executive compensation, and the stock exchange-listed company rules.
Tom is also rated in Chambers USA and The Legal 500 for his M&A work, and is cited for being a “strong M&A lawyer who anticipates clients’ needs, exhibits strong management over deals, and translates his breadth of knowledge in a way that clients can easily understand and use.”
James H. Cundiff advises clients on family wealth and business planning, federal estate, gift and generation-skipping tax planning, and estate and trust administration. James represents entrepreneurs, corporate executives, and other business leaders and wealthy individuals on estate and tax planning matters.
Counseling closely held businesses and family members, James is actively engaged in the structuring of family businesses as well as business control and succession planning, multi-generational wealth transfer planning, and estate plan design and implementation. James works with several single-family offices on the creation and administration of private investment pools and private trust companies. As a certified public accountant, James bridges the gaps between financial, tax and legal issues. James frequently writes and speaks on a variety of tax and estate planning subjects.
Edward (Ted) Diskant is a former federal prosecutor and the co-head of McDermott Will & Schulte’s global white-collar and government investigations practice. Ted leverages his background overseeing some of the most high-profile criminal matters brought by the US Attorney’s Office for the Southern District of New York to help companies and individuals navigate a wide range of white-collar, litigation, and regulatory enforcement matters. Recognized as a leading white-collar practitioner by Chambers USA, Ted is “super responsive and practical” in approaching clients’ most sensitive and complex issues. He is routinely hired to lead sensitive internal investigations and respond to government inquiries, with a particular focus on matters involving the False Claims Act (FCA), the Foreign Corrupt Practices Act (FCPA) and other anti-bribery laws, wire fraud, healthcare fraud, money laundering, and the Bank Secrecy Act (BSA).
An experienced trial lawyer, Ted also regularly takes complex civil and criminal cases to trial. Recognized as part of McDermott’s globally ranked team, Global Investigations Review (GIR) highlights that Ted “brings lots of trial experience to the table,” and clients rely on Ted’s extensive courtroom experience at all stages of litigation. Ted also frequently consults on compliance matters and helps clients design, implement, and audit compliance programs consistent with US Justice Department (DOJ) and other applicable guidance.
Prior to joining McDermott Will & Schulte, Ted spent nine years at the US Attorney’s Office for the Southern District of New York, most recently serving as Chief of the Public Corruption Unit. In that capacity, Ted supervised a team of approximately twenty senior prosecutors, overseeing some of the Office’s most sensitive and high-profile matters. Ted also led investigations and prosecutions of financial institutions related to compliance with the BSA, as well as US sanctions and AML requirements.
As part of his pro bono practice, Ted serves on the Criminal Justice Act (CJA) Panel for the Southern District of New York, representing defendants in federal criminal matters, appeals, and in habeas proceedings. Ted co-founded the LGBT White-Collar Working Group and serves on the Firm’s Diversity Committee.
Prior to joining the US Attorney’s Office, Ted clerked for the Hon. Debra Ann Livingston, Chief Judge, United States Court of Appeals for the Second Circuit, and for the Hon. Sidney H. Stein, United States District Court, Southern District of New York.
James Durkin is a former federal prosecutor and experienced trial lawyer who represents clients in government enforcement and compliance matters, internal investigations and complex civil litigation.
James draws on his experience as a federal prosecutor to advise corporations, boards of directors and individual executives on their most critical and sensitive matters, including those involving the False Claims Act, the Anti-Kickback Statute, anti-bribery laws, healthcare fraud and theft of trade secrets.
After launching his career as an associate at McDermott, James spent seven years at the US Attorney’s Office for the Northern District of Illinois before returning to the Firm. While in the Office, James led a variety of investigations and prosecutions and spent years working on and ultimately supervising a sprawling and high-profile investigation into public corruption that resulted in numerous convictions of elected and public officials.
James has significant experience handling cases involving all varieties of fraud, including healthcare fraud, bank fraud, tax fraud, insurance fraud and the Foreign Corrupt Practices Act. He has conducted internal investigations across many industries—experience he uses to advise clients not only how to respond to government and regulatory investigations, but also how to avoid them.
Prior to joining the US Attorney’s Office, James clerked for Judge Amy J. St. Eve at the US District Court for the Northern District of Illinois.
Laurelle M. Gutierrez has a diverse practice representing high-net-worth individuals and their families with respect to all aspects of gift, estate and generation-skipping wealth-transfer tax planning, as well as trust and estate administration.
Laurelle has extensive experience in the design and implementation of sophisticated intergenerational wealth-transfer planning strategies. She advises domestic and multinational high-net-worth clients and families to develop and orchestrate innovative solutions around wealth transfer, philanthropic giving and multifaceted estate planning needs. She has advised trustees and executors with complex probate and trust administrations, including successfully representing clients in estate tax and gift tax audits.
While in law school, Laurelle served on the University of San Francisco Law Review. She frequently writes and speaks on sophisticated estate planning and fiduciary income tax issues for professional organizations, including the American Law Institute, the Heckerling Institute on Estate Planning, the State Bar of California and CalCPA.
L. Timothy Halleron focuses his practice on high-net-worth tax and estate planning matters. Tim advises individuals and family offices in planning for the preservation and transfer of wealth within families without the imposition of gift, estate or generation-skipping transfer tax.
Tim’s practice includes:
- Advising on design and drafting of estate planning documents, including wills, revocable and irrevocable trusts (including charitable trusts), family limited partnerships, shareholder agreements, and intra-family sale agreements
- Pre-liquidity event tax planning, including leveraged sales of interests in private companies to dynasty trusts, transfers to grantor retained annuity trusts, and pre- and post-sale charitable planning
- Advising on investment diversification, asset protection, and corporate and family governance issues, including the reorganization of private companies to improve the tax efficiency of those organizations
- Counseling on the formation and administration of a variety of tax-exempt and charitable entities
- Transfer situs of trusts to more favorable jurisdictions to take advantage of tax efficiencies and modernized trust laws, and advise clients with respect to state fiduciary income tax issues
- Structuring and implementing judicial and non-judicial modifications of irrevocable trusts
- Advising on the structuring and formation of private trust companies in various jurisdictions
- Preparing and reviewing estate and gift tax returns, including complex reporting and valuation issues, and negotiate settlements with the IRS on audited estate and gift tax returns
- Advising on litigation disputes between trustees and beneficiaries and in contested trust and tax matters, and consult with fiduciaries in probate and trust administration
Tim is a fellow of the American College of Trust and Estate Counsel (“ACTEC”), and Tim frequently writes and speaks on a variety of tax and estate planning subjects.
Technology and outsourcing transactions
Artificial intelligence and digital transformation transactions
Cloud computing and SaaS arrangements
Telecommunications and network communications contracts
Complex commercial and strategic alliance agreements
Toni Ann Kruse has a broad-based estate and wealth transfer planning practice in New York. She advises ultra-high net worth individuals and families on estate, gift and generation-skipping transfer tax issues, trust and estate administration, state fiduciary income tax planning, and charitable gifting, as well as contested trust and estate matters. She has significant experience working with multinational clients on structuring efficient ways to benefit US persons as well as inbound and outbound planning opportunities. Toni Ann regularly works with family companies, advising on governance and succession issues between generations; drafts and administers complex estate plans; implements leveraged lifetime wealth transfer techniques; and counsels fiduciaries in complex trust and estate administration matters, often involving various asset classes across several jurisdictions.
Toni Ann has published articles in publications such as Trusts & Estates Magazine, Bloomberg Tax, Law360, and the New York Law Journal. She regularly speaks at estate planning conferences on various topics and has been quoted in the Wall Street Journal, Forbes, and Reuters as an industry expert.
Julie Miraglia Kwon advises wealthy individuals, families, closely held businesses, charities and corporate fiduciaries on all aspects of estate, gift and generation-skipping transfer tax planning, trust and estate administration, business succession, charitable planning and governance, and contested trust and tax matters.
Julie formerly was the Philanthropic Advisor for Stanford University, where she collaborated with the Office of General Counsel and Stanford Management Company regarding endowment and charitable trust investment, complex gifts and bequests, and contested matters. Previously, she also was a national director with Bernstein Global Wealth Management, where she developed quantitative research regarding the effect of investment volatility on wealth transfer, and was the fiduciary counsel and Legacy Planner for the Midwest Region for Bessemer Trust Company. Julie is a former member of the board of directors of the Silicon Valley Community Foundation, the largest in the country.
Julie co-authors the tax treatise, Generation-Skipping Transfer Tax (by Harrington, Plaine, Zaritsky & Kwon, for Warren Gorham & Lamont), and the Tax Management Portfolio titled Generation-Skipping Transfer Tax (by Harrington & Kwon, for Bureau of National Affairs). Julie speaks frequently before and writes regularly for professional publications and organizations, including the Wall Street Journal, Forbes, Dow Jones, Journal of Taxation, Trusts & Estates, the Heckerling Institute on Estate Planning, the Internal Revenue Service, the American Bar Association, the American Law Institute and numerous regional organizations.
While in law school, Julie was executive editor of the Yale Journal of Law & the Humanities.
Andrew C. Liazos is the global head of McDermott’s Benefits & Compensation Practice Group and has practiced at McDermott for over twenty-five years.
Andrew is a nationally recognized leader representing boards and senior executives on significant, multi-disciplinary compensation and benefits related matters, with an emphasis on plan design, practice before regulators, litigation and governance. Chambers USA reports that Andrew is a “first-rate lawyer” and an “excellent, top-notch leader in his field.” Best Lawyers reports from clients that “Andrew’s responsiveness to problems is unequaled,” he “provides the utmost customer service,” “working with him is a great experience,” and that he has “a practical approach to issues.”
Andrew has held several leadership positions within the American Bar Association for over two decades, including serving as the chair of the Section of Taxation’s Employee Benefits Committee. He is the current co-chair for the American Law Institute’s Annual Symposium on Executive Compensation and a fellow of the American College of Employee Benefits Counsel, which recognizes lawyers who have made significant contributions to advance the employee benefits field for at least twenty years.
Andrew is a frequent speaker and the author of numerous articles on executive compensation and employee benefit issues for publications as Bloomberg Tax, Tax Notes, the Benefits Law Journal, CFO Magazine and Fortune. Andrew has also frequently submitted comments on behalf of trade associations and clients, including proposed tax regulations and securities law rules.
Set forth below is a representative list of Andrew’s practice.
Carlyn S. McCaffrey provides legal counsel on domestic and international tax and estate planning for high-net-worth individuals. She also advises individuals and institutions on charitable planning matters. Carlyn is co-head of the Private Client practice in the Firm's New York office.
A frequent lecturer on subjects relating to tax law, trusts and estates, foreign trusts and matrimonial law, Carlyn is also an extensively published author on these topics.
Patrick J. McCurry concentrates his practice on the corporate and tax aspects of complex business and investment transactions, with a particular focus on transactions involving single-family offices, private equity funds and other financial sponsors (on both buy and sell-side), emerging businesses, partnerships and strategic joint ventures, limited liability companies and closely held corporations.
Patrick has extensive experience in working with single-family offices in connection with the formation and/or restructuring of family offices and private trust companies, the creation of investment funds, the establishment of incentive equity programs for key employees and related income tax planning. He also routinely works on complex tax planning for high-net-worth individual and families, tax structuring healthcare services transactions and tax controversy matters.
Patrick is Co-Leader of the Firm’s Closely Held and Passthroughs Affinity Group.
Ranked as “Band 1” by Chambers High Net Worth in its national Family Offices & Funds Restructuring category, clients praise Patrick for being “a lucid communicator, even of incredibly complex tax and legal concepts.” Other clients note that Patrick “brings a level of knowledge and expertise in family office and partnership taxation” and he “never brings up an issue without thinking about multiple potential solutions.”
While in law school, Patrick served as an extern for the Honorable Ronald A. Guzman, US District Court for the Northern District of Illinois. He also was a member of the Loyola University Chicago Law Journal.
Elise J. McGee advises high-net-worth individuals and business owners on all aspects of wealth-transfer planning, including estate and trust administration, leveraged wealth-transfer techniques, tax matters, cryptocurrency and QSBS planning, real estate transactions and closely held business matters. Elise has extensive experience working with owners of closely held businesses to develop governance and succession plans, and on corporate, tax and compliance matters relating to those businesses.
Elise specializes in the formation and operation of private trust companies, and has advised clients on these structures in multiple jurisdictions. Elise has worked with state regulators to develop customized private trust company structures for clients, including for international families. Most recently, she co-drafted Wyoming’s 2019 trust company legislation including 2021 legislative updates. Elise has analyzed SEC and regulatory compliance issues facing private trust companies, and has helped clients develop policies and procedures for their private trust companies. She also advises clients on the litigation and regulatory risks facing private trust companies and their decision-makers.
Elise works with clients, including registered investment advisers and multi-family offices, to establish and transition trusteeship to retail trust companies. She also advises retail trust companies on cryptocurrency custody matters. She helps clients structure the multi-jurisdictional relationships between trust companies, family offices and closely held businesses.
Elise speaks frequently on the subject of estate planning, state income tax strategies, digital assets and trust companies. She has lectured at the University of Wyoming College of Law and serves on the Executive Committee of the Chicago Bar Association Trust Law Committee.
While in law school, Elise was an executive editor for The Michigan Journal of Race & Law. Prior to law school, she worked as a senior research analyst for Lexecon, where she performed research and statistical analyses focusing on the application of economics to litigation.
Charles (Chuck) Moll focuses his practice on state and local tax (SALT), primarily concentrating on the resolution of tax controversies. He regularly appears before the various California tax authorities—including the State Board of Equalization, the California Franchise Tax Board, the California Department of Tax and Fee Administration, and the Office of Tax Appeals—as well as local authorities such as assessors and assessment appeals boards. He has litigated at all levels of California's courts, the US Tax Court, and the US Supreme Court.
Chuck’s practice includes tax matters in other states, as well as federal tax controversies, including representation of clients in federal courts and at appellate hearings before the Internal Revenue Service.
M. Read Moore provides legal counsel on all aspects of estate planning, estate and trust administration, tax controversy, and privately owned business governance and succession planning. He has considerable experience in the international aspects of the private client practice, including inbound investment and wealth transfers to the United States, the US tax and legal aspects of non-US private company and wealth management structures, and US tax compliance for clients with global investments and assets.
From his base in the San Francisco Bay area, Read works with clients across the United States and around the world on innovative planning and tax and non-tax controversies for private companies, domestic and foreign trusts, and wealthy family groups. Read speaks frequently at national and international conferences and is a recognized authority on domestic and international estate planning and tax issues.
Jonathan W. Motto focuses his practice on counseling families, family offices, business owners, executives and individuals on all aspects of estate and gift planning, wealth transfer issues, estate and trust administration, and business succession issues. His experience includes preparation and administration of wills and trusts, formation and reorganization of closely held corporations, partnerships and limited liability companies, implementation of leveraged wealth transfer techniques, and formation and operation of family offices and private trust companies.
While in law school, Jonathan served as the editor in chief of the Children's Legal Rights Journal, president of the Student Bar Association and president of Phi Alpha Delta International. He also received a Tax Law Certificate for extensive course work in the areas of income, estate, gift and generation-skipping transfer (GST) tax.
Joseph (Joe) Mulherin focuses his practice on employment class action litigation, with a focus on defending employers against wage-and-hour and employment discrimination lawsuits. Joe has successfully defended clients from a wide variety of industries, including health services, banking, finance, retail, manufacturing, hospitality, staffing, technology, logistics, and construction.
Joe also has deep experience representing employers in federal and state governmental agency matters, including investigations by the US Department of Labor and the Equal Employment Opportunity Commission, as well as their state counterpart agencies.
Leveraging his intricate knowledge of the law and extensive litigation experience, Joe regularly counsels clients on best employment policies and practices and mitigation strategies. His advice takes into account not only the requirements of the law, but clients’ unique business needs and potential exposure.
Joe frequently advises on wage-and-hour policies and practices relating to employee overtime classification, timekeeping, rounding, meal and rest periods, travel time, donning and doffing, on-call time, and handheld devices. He also has considerable experience advising clients on discipline and termination decisions, leave laws, independent-contractor classification, wage payment and vacation laws, commissions and bonuses, and web accessibility for disabled individuals.
Joe is a highly regarded writer and speaker on a broad range of employment law topics.
David G. Noren focuses his practice on international tax planning for multinational companies. David advises clients on a wide range of "outbound" and "inbound" issues, with a particular focus on the subpart F anti-deferral rules, the application of bilateral income tax treaties, and the treatment of cross-border flows of services and intellectual property rights under transfer pricing and other rules.
Prior to joining the Firm, David served as legislation counsel to the Joint Committee on Taxation in the US Congress where he advised the House Ways & Means Committee, the Senate Finance Committee and other members of Congress on proposed international tax legislation. He played a major role in the development of several international tax bills, including those culminating in the American Jobs Creation Act of 2004.
David also advised the Senate Foreign Relations Committee on the review and ratification of several tax treaties and protocols, carried out the international tax aspects of special investigations and studies requested by members of Congress, and assisted in the Joint Committee staff's review of large tax refunds in the international area. Prior to working in Congress, David taught in the tax program at the New York University School of Law.
David has testified in congressional hearings on international tax issues and is a frequent writer and speaker on such topics. While in law school, David was an editor of the Harvard Law Review.
Shawn O’Brien is nationally recognized by his peers and clients as a leading tax practitioner with a focus on tax litigation and controversies involving state, federal and international tax authorities. Drawing on his 25 years of experience, Shawn represents clients in tax examinations and administrative appeals and, when necessary, serves as a forceful advocate in litigation before the US Tax Court, US district courts, the US Court of Federal Claims, state courts and federal appellate courts. Shawn is the managing partner for the firm’s Houston office.
Clients interviewed in the Chambers USA Legal Guide 2024 shared that Shawn is “a trusted adviser and his level of service is superb” and he “has been a good strategic tax partner for our company,” particularly noting his “in-depth knowledge of our industry.”
Shawn’s experience spans a broad range of tax issues that affect many different industries, including energy, renewables, financial services, life sciences, manufacturing, media and entertainment, technology and aviation. He advises domestic, foreign and multinational corporations, partnerships, master limited partnerships, real estate investment trusts and limited liability companies on tax issues in connection with foreign and domestic transactions.
He also counsels clients in disputes involving transfer pricing, debt versus equity, loss carrybacks, international withholdings, advance pricing agreements, tax shelter disallowances, research and development tax credits, changes in accounting methods, captive insurance, related-party transactions, repatriation structures, inbound distributors, foreign credit transactions and penalty abatements. Shawn has also developed a market-leading federal and state excise tax practice that advises some of the largest corporations on excise tax planning and controversies.
Nicole M. Pearl advises clients on estate planning, wealth transfer planning, marital property agreements, business succession planning and post-death administration. Her clients include family offices, entrepreneurs and business owners, real property investors, private equity fund managers, and entertainment industry figures.
Nicole helps high-net-worth individuals pass wealth to the next generation, while minimizing their tax burden. To that end, she creates estate plans and charitable giving programs designed to meet her clients' family succession and wealth management objectives. She also advises families in the creation and ongoing administration of their family offices, and works with business owners to maintain control of their companies through buy-sell agreements or to relinquish control via responsibly conducted transition of ownership to family members or employees.
Nicole primarily works with clients throughout Southern California, but also maintains a statewide practice that includes a strong Northern California client base.
Melissa (Moszkowski) Price focuses her practice on domestic and international tax and estate planning matters. She advises clients on estate, gift, generation-skipping transfer and income tax issues, trust and estate administration, wealth transfer techniques and charitable planning.
Melissa has significant experience with international tax and estate planning. She advises trustees of foreign trusts with US beneficiaries, individuals moving to and from the US, and families with members residing in multiple jurisdictions. She regularly advises on US information reporting issues.
Prior to working at McDermott, Melissa worked in the corporate tax department at another large firm in New York.
Jay E. Rivlin has extensive experience advising ultra-high net worth individuals and families on all aspects of their personal legal needs, including domestic and international estate, gift and tax planning, administration, cross-border issues, and controversy resolution; family office administration; business succession planning; family dispute resolution; charitable giving and private foundation administration; acquisition and ownership of private aircraft; as well as guardianship and planning matters for incapacitated persons. Jay is co-head of the Private Client practice in the Firm's New York office.
He also works extensively with family offices on family office formation, administration, and governance matters. Jay blends his real-world knowledge, technical expertise and practical approach to achieve clients’ goals as simply and efficiently as possible.
Anita S. Rosenbloom offers estate and wealth transfer planning, business succession planning, and trust and estate administration counsel to high-net-worth and ultra-high-net-worth individuals, families and family offices throughout the United States. Anita’s clients value her decades-long experience and legal and business acumen. She is the principal legal advisor and trusted counselor to generations of multiple large families.
Anita has significant experience representing multigenerational privately held businesses. She provides nuanced, practical counsel on the highly technical issues that may arise when structuring and implementing estate and business plans, negotiating real estate and other business transactions, managing private funds and other investments, and facilitating consensus and conflict resolution in the event of disputes—often on a tax-favored basis.
Anita is highly skilled in estate and trust administration. She represents fiduciaries in transactions involving decedent’s estates and trusts, counsels clients on fiduciary matters, and advises on probate proceedings and estate tax reporting and audit matters.
Recognized as a leader in her field, Anita speaks and writes frequently on emerging topics in estate, tax and business succession planning and related legislation. She has delivered presentations sponsored by the New York City Bar Association, the New York State Society of Certified Public Accountants, the Practising Law Institute and other leading tax, wealth management and estate-planning organizations.
Her articles have appeared in the New York Law Journal, the New York State Bar Association’s N.Y. Real Property Law Journal, the New York State Bar Association Trusts & Estates Law Section newsletter, the Practising Law Institute’s Tax Law & Estate Planning series and publications by the New York University Institute on Federal Taxation. Anita is also a co-author of Manning on Estate Planning (Practising Law Institute, 7th ed., 2013 updated annually).
Adam K. Sherman provides legal counsel on a wide range of wealth transfer, tax, estate planning and business succession matters for high-net-worth individuals and business owners.
Adam has extensive experience structuring and implementing sophisticated wealth transfer techniques and working with owners of closely held businesses to develop customized succession plans. Adam also advises clients on a range of issues relating to the formation and maintenance of family office and private trust company structures.
Adam counsels executors, trustees and beneficiaries in all aspects of estate and trust administration, including the preparation of federal estate tax returns and judicial and non-judicial trust accountings. He has also been involved in numerous estate and gift tax audit proceedings before the Internal Revenue Service (IRS) and has successfully obtained favorable private letter rulings for his clients on a range of income and transfer tax issues.
On international matters, Adam has advised multinational families on compliance with the Foreign Account Tax Compliance Act (FATCA) and counseled US-based clients participating in the IRS's Offshore Voluntary Disclosure Program (OVDP).
Adam has spoken extensively on estate planning topics, including wealth transfer planning, gift, estate and generation-skipping transfer (GST) tax reporting, and exercising powers of appointment.
While in law school, Adam was a staff member of the Chicago Journal of International Law, in which he has his note (on the international legal status of drone operators) published in 2004.
Joseph advises clients on all matters pertaining to the intergenerational transfer of wealth, including estate planning, succession planning, tax planning, trust and estate administration, audits, examinations, controversy avoidance and litigation. He also guides clients on the formation, governance and operation of private trust companies and family offices. His clients are located throughout the United States and include high-net-worth individuals and families, private trust companies, family offices, family office executives and large banks.
Joseph has successfully argued before trial and appellate courts in multiple jurisdictions. Due to his unique background in tax, planning and litigation, clients turn to Joseph to advise them in complex disputes involving family members, spouses, employees and business partners. A significant part of his practice involves counseling family offices and private trust company executives on strategies and best practices for avoiding personal liability. Joseph is frequently able to favorably resolve disputes without litigation. If necessary, however, he vigorously defends his clients’ interests in the courtroom.
Joseph is a frequent contributor to the bar. In addition to publishing numerous articles and book chapters, he is the principal draftsman of the forthcoming Michigan Trust Company Act. He also assisted with drafting the Michigan Uniform Fiduciary Income and Principal Act and the Model Civil Jury Instructions Regarding Undue Influence, among other legislative matters.
Thomas (Tom) P. Ward advises high-net-worth individuals and business owners on the income tax, corporate and compliance aspects of complex business and investment transactions, with a focus on family office management companies, private investment funds and complex incentive equity programs.
Tom has extensive experience in establishing and working with family offices and investment entities, ranging from first-generation entrepreneurs to multi-generational families, with net worth from $40 million to many billions of dollars, including a number of individuals listed in the Forbes 400. Tom works closely with the entire advisor team to implement the optimal structure for a particular situation and has extensive experience working with private trust company, airplane, transfer tax and security law considerations.
Tom is a frequent speaker on trends impacting family offices and high-net-worth individuals.
Ranked as “Band 1” by Chambers High Net Worth in its national Family Offices & Funds Restructuring category, clients praise Tom for being “a very thoughtful and knowledgeable attorney that truly understands the needs of an SFO. Tom's approach is very thoughtful and always tries to find creative ways to accomplish his client's goals."
While in law school, he was an editor of the Michigan International Law Journal.
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