Photo of Josh Prywes

Josh Prywes focuses his practice on federal, international, multistate, and local tax planning and implementation for both U.S. and foreign companies. Josh also has experience representing investors and developers in real estate joint venture agreements and related development agreements. Josh has advised a variety of businesses on the tax implications of inbound and outbound transactions. He regularly structures and negotiates complex partnership and corporate agreements throughout the United States and has experience advising clients on the tax implications of real estate transactions and corporate mergers and acquisitions.

A new Internal Revenue Service (IRS) Private Letter Ruling says that transferable development rights (TDRs) are of “like kind” with tangible real property and eligible for 1031 tax deferred treatment

Continue Reading IRS Rules Transferable Development Rights Are Real Property for Section 1031 Purposes

The IRS Office of Chief Counsel announced in Issue Number IR-2020-130 that it will be making a time-limited settlement offer to certain taxpayers with pending docketed Tax Court cases involving


Continue Reading IRS Offers Settlement to Syndicated Conservation Easement Investors with Cases Pending in U.S. Tax Court