Michael J. Bruno advises multinational companies, funds, single family offices, and entrepreneurs on sophisticated US and international tax planning and transactions. He has extensive experience in advising clients in the technology, healthcare, life sciences, digital health, consumer products, FinTech and cryptocurrency, and sports and entertainment industries.
Michael regularly advises clients on mergers, acquisitions, restructurings, joint ventures, and divestitures in various business contexts. He has assisted clients with many international tax issues, including navigating anti-deferral (controlled foreign corporation (CFC) and passive foreign investment company) regimes, foreign tax credit planning, export planning, treaty planning, intellectual property migrations, tax-efficient cash repatriation strategies, and post-acquisition integration and implementation.
Michael also regularly advises entrepreneurial families on strategies for minimizing US income taxation with respect to their closely held businesses and investments, including qualified small business stock planning. Through comments and a presentation, Michael advocated on behalf of The Florida Bar Tax Section for Congress, the Internal Revenue Service, and the US Department of the Treasury to afford the Section 250 deduction to electing Section 962 shareholders that earn Global Intangible Low-Taxed Income, as well as reinstating the repeal of Section 958(b)(4) for CFC downward attribution.
He has written numerous articles on international tax planning and frequently submits comments on statutory and regulatory promulgations. As a strong proponent for pro bono legal services, Michael founded the Transactional Equal Justice Program with Legal Services of Greater Miami, which offers free legal advice to nonprofits and low-to-moderate income small business owners to help them launch a business.