+1-212-530-5624 awalker@milbank.com [Add vCard to Outlook]
Andrew Walker is a partner in the Tax Department of Milbank based in the New York office. He specializes in international federal income tax matters. His practice focuses on the taxation of complex financing transactions, financial products and derivatives, U.S. and foreign securities offerings, structured finance and asset securitization transactions and investment funds. He has significant experience advising on the tax aspects of cross-border restructurings, refinancings, workouts, strategic investments, mergers and acquisitions. Mr. Walker is admitted to practice in New York and the District of Columbia. Mr. Walker is a member of the Executive Committee of the New York State Bar Association Tax Section and serves as co-chair of the Committee on Cross-border Capital Markets. He was previously co-chair of the Committee on U.S. Activities of Foreign Taxpayers and the Committee on Reorganizations. He is also a member of the American Bar Association (Tax Section), the Committee on the Taxation of Business Entities of the New York City Bar Association, the International Fiscal Association, the Tax Forum and the Tax Club. He is listed in Chambers USA, the Legal 500 (Structured Finance) and New York Super Lawyers. Articles by Mr. Walker appear in a number of publications, including the Tax Lawyer, the Journal of Corporate Taxation, Derivatives Magazine and the Journal of Tax Exempt Organizations and he is a regular speaker on federal income tax topics to groups like the American Bar Association, the NYU Institute on Federal Taxation, and the Committee of Banking Institutions on Taxation (CBIT). He received his law degree (J.D.), magna cum laude, from Harvard Law School and received M.A. and B.A. (Hons.) degrees from the University of Cape Town, South Africa.
Andrew Walker is a partner in the Tax Department of Milbank based in the New York office. He specializes in international federal income tax matters. His practice focuses on the taxation of complex financing transactions, financial products and derivatives, U.S. and foreign securities offerings, structured finance and asset securitization transactions and investment funds. He has significant experience advising on the tax aspects of cross-border restructurings, refinancings, workouts, strategic investments, mergers and acquisitions. Mr. Walker is admitted to practice in New York and the District of Columbia.
Mr. Walker is a member of the Executive Committee of the New York State Bar Association Tax Section and serves as co-chair of the Committee on Cross-border Capital Markets. He was previously co-chair of the Committee on U.S. Activities of Foreign Taxpayers and the Committee on Reorganizations. He is also a member of the American Bar Association (Tax Section), the Committee on the Taxation of Business Entities of the New York City Bar Association, the International Fiscal Association, the Tax Forum and the Tax Club. He is listed in Chambers USA, the Legal 500 (Structured Finance) and New York Super Lawyers.
Articles by Mr. Walker appear in a number of publications, including the Tax Lawyer, the Journal of Corporate Taxation, Derivatives Magazine and the Journal of Tax Exempt Organizations and he is a regular speaker on federal income tax topics to groups like the American Bar Association, the NYU Institute on Federal Taxation, and the Committee of Banking Institutions on Taxation (CBIT).
He received his law degree (J.D.), magna cum laude, from Harvard Law School and received M.A. and B.A. (Hons.) degrees from the University of Cape Town, South Africa.
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ArticlesThe Tax Regime for Individual Expatriates: Whom to Impress 58 Tax Lawyer No. 2, 555 More from the Abyss of Debt and Equity 63 N.Y.U. Institute on Federal Taxation, Ch. 7 New Regulations Explain Classification And Residence of Entities Organized In Multiple Jurisdictions 6 Derivatives No. 2, 10Continuity of Confusion: Variable Stock Consideration in Corporate Reorganizations31 J. Corp. Taxation No. 5, 15Investments in Derivatives Could Face Tax as an Unrelated Business13 Taxation of Exempts No. 6, 259Client AlertsProposed Legislation Targets Foreign Accounts with Expansive Withholding RegimeIRS Ruling Guidance on Lending Activities of Foreign Entities is a “Shot Across the Bow”International Tax Regime Targeted in Latest Revenue ProposalRelief from Income on Debt Repurchases and Exchanges at a Discount Under the American Recovery and Reinvestment Act of 2009New Tax Proposals in the Tax Reduction and Reform Act of 2007Press ReleasesMilbank Advises Pakistani Cement Manufacturer on London-Listed GDR OfferingMilbank Closes Sri Lanka's First Sovereign BondMilbank Advises on India Telecom IPO Milbank Closes Largest-Ever Latin American High Yield Offering
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