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James Maynor focuses his practice on the U.S. taxation of international transactions and investments. James advises public companies and privately held businesses on the U.S. tax consequences of mergers and acquisitions, business formations, internal restructurings, spin-offs, divestitures, joint ventures, and capital markets transactions — primarily in the cross-border context. He also advises clients in connection with the formation and structuring of investment funds, with a focus on the U.S. tax issues that are relevant to non-U.S. investors in such funds. In addition, James advises multinational enterprises on the U.S. tax issues associated with the global immigration and mobility of executives and employees.

Concentrations

  • Cross-border mergers, acquisitions, business formations, restructurings, divestitures, and joint ventures
  • Domestic and international spin-off transactions
  • Capital markets transactions
  • Tax structuring for investment funds
  • Tax planning for global immigration and mobility

Capabilities

Recognition & Leadership

  • Listed, The Best Lawyers in America, "Ones to Watch," Tax Law, 2024-2025

Credentials

Education
  • LL.M., Taxation, University of Florida Levin College of Law
  • J.D., The University of Texas School of Law
  • B.S.B.A., Economics, University of Florida Warrington College of Business
Admissions
  • Florida
  • District of Columbia
Admitted in the District of Columbia and Florida. Not admitted in Virginia. Practice limited to federal tax practice.

Related Capabilities

Tax Cross-Border Tax Planning