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David Shechtman is a shareholder in Flaster Greenberg’s Business & Corporate Department.
Having practiced tax and business law for more than 40 years, Mr. Shechtman has extensive experience ensuring LLCs, partnerships, and corporations comply with, federal, state, and local tax laws; structuring their business operations and transactions in a tax efficient manner, and handling tax controversies. As highlighted below, and in addition to his wide-ranging general tax practice, Mr. Shechtman is one of the country's leading experts on tax-deferred, like-kind exchanges.
Like-Kind Exchanges
Mr. Shechtman manages a national practice implementing complex like-kind exchanges of real estate for major oil and gas, telecommunications, and transportation companies, as well as real estate investment trusts (REITs) and other real estate owners and investors. His forms of exchange documents are widely used in the industry, and he has served as an expert witness in several lawsuits involving like-kind exchange issues.
David is a thought leader on these exchanges and other tax topics and has been quoted frequently on tax issues in the Wall Street Journal and other business publications. Since 1995, he has spoken at every national conference on advanced like-kind exchange issues sponsored by the Center for Professional Seminars. In addition, he is a regular speaker at conferences sponsored by the ABA Tax Section, the Pennsylvania Bar Institute (PBI), and the NYU and USC Institutes on Federal Taxation.
Qualified Opportunity Zones
When the 2017 Tax Cut and Jobs Act added new tax incentives for investments in qualified opportunity zone (QOZ) funds, David began working with numerous taxpayers seeking to defer and exclude otherwise taxable capital gains by investing in QOZ funds for projects in certain low-income census tracts. David has spoken at several ABA Tax Section panels on QOZs and was part of the ABA Tax Section task force that commented on the U.S. Treasury’s two sets of Proposed QOZ regulations.
Litigation Settlements
David is also one of the most prominent advisors on tax consequences of litigation settlements and awards including structured settlements and qualified settlement funds. He has obtained two of the most significant IRS private letter rulings on these issues.
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Chat withState: Pennsylvania
Acquired: 1977
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One Tower Bridge, 100 Front Street, Suite 100, Conshohocken, PA, 19428
1717 Arch St., Suite 3300, Philadelphia, PA, 19103
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Fellow, American College of Tax
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Tax Law, Best Lawyers
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Pennsylvania "Super Lawyer", Pennsylvania Super Lawyers
1977
JD - Juris Doctor
1974
BA - Bachelor of Arts
2024
Advanced 1031 Topics Including Exchange Considerations for Partnerships
2023
Debt Boot in Exchanges: What is it and What isn’t it?
2021
2019
2019
2006