New York

Phone 212-373-3082
Fax 212-492-0082
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Related Practices

Corporate
Tax

Education

  • J.D., Harvard Law School, 1983
  • A.B., Harvard College, 1978

Bar Admissions

  • New York
 
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Lawyers: Biography

David R. Sicular
Partner
A partner in the Tax Department, David R. Sicular maintains an active practice in the full range of corporate, partnership and international transactions, including public and private mergers and acquisitions, investment funds, financings, restructurings, financial products and general tax planning. He also has extensive experience in the tax aspects of bankruptcy and insolvency restructurings. Mr. Sicular is recognized as a leading tax lawyer by Chambers USA, Legal 500, The Best Lawyers in America, America’s Leading Lawyers for Business, and by The New York Area’s Best Lawyers. He was described in the 2011 edition of Chambers USA: America’s Leading Business Lawyers as “extraordinarily smart and well versed in the private equity world.”

Mr. Sicular represents public and private companies in the United States and abroad, private equity and other investment funds, private investors and individual entrepreneurs. In recent years, he has acted as tax counsel for clients in a number of mergers, acquisitions and investments in public and private companies in a wide range of industries and structures, as well as in structuring and raising private equity, hedge and hybrid investment funds, numerous complex financing transactions and securities offerings for U.S. and non-U.S. issuers, international joint ventures, and personal and estate planning for the entrepreneurs that head many of these businesses.

Mr. Sicular is Secretary of the Tax Section of the New York State Bar Association. He has previously served as co-chair of the Tax Section’s Committees on Corporations, Foreign Activities of U.S. Taxpayers, Consolidated Returns, Bankruptcy, and U.S. Activities of Foreign Taxpayers. He is a member of the Tax Forum and the Private Investment Funds Tax Forum. His recent publications include “Selected Current Effectively Connected Income Issues for Investment Funds,” (The Tax Lawyer, Summer 2003) and “The New Look-Through Rule: W(h)ither Subpart F?” (Tax Notes, April 23, 2007).