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Robert Feinschreiber and Margaret Kent

Robert Feinschreiber is an experienced tax practitioner, an attorney and counselor in Miami, primarily involved in four tax areas:

  • Advocating the adoption of an American production incentive program for more than 30 years. He is now helping U.S. taxpayers claim section 199 domestic production deduction benefits.
  • Helping U.S. exporters maximize DISC and other tax incentives for 35 years, including planning and audit defense.
  • Engaging in transfer pricing, including planning, audit defense, APAs, and penalty elimination for more than 20 years.
  • Litigating tax malpractice issues for plaintiff or defendant more than 15 years.

Mr. Feinschreiber's clients include foreign-owned U.S. businesses, U.S. exporters, companies facing transfer pricing issues, and plaintiffs or defendants in tax malpractice claims.

Mr. Feinschreiber has written more than 100 current articles on taxation. He has been quoted as an authority by the Tax Court, Business Week, and Forbes.

Mr. Feinschreiber has been a consultant to several foreign governments and was a CPA in Florida. He has taught accounting at Yale and law at Wayne State University Law School. He was director of the International Tax Institute. Mr. Feinschreiber has also lectured at various tax conferences on such topics as foreign sales corporations, DISC, intercompany pricing, Subpart F, foreign tax credit, the research credit, and depreciation. He has lectured for the American Management Association, International Business Seminars, the International Tax Institute, the World Trade Institute, where he was the Senior International Tax Advisor, CITE, and other organizations.

Margaret Kent has been an attorney for twenty years, focusing on law and international taxation, having a wealth of diverse responsibilities. Her experience includes structuring the termination of the $2 billion per year aid from Russia to Cuba; participating in an earnings and profits study of a large U.S. multinational corporation having two-tier operations in Venezuela; structuring the U.S. business operations of a Brazilian manufacturer to avoid effectively-connected status; structuring transfer pricing in Argentina, Chile, Colombia, Costa Rica, and Venezuela; defending clients in response to IRS information documents requests and prepared protests; and representing exporters seeking tax incentive claims.

Ms. Kent also served as U.N. Consultant on international fiscal studies in Eastern Europe, Central Asia, and elsewhere and was the co-editor or Corporate Business Taxation Monthly (CCH) and International Mergers and Acquisitions (Wiley).


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