Daniel Stahl has concentrated on the taxation of real estate transactions. He develops complex structures for real estate transactions, including sales of partial interests, mergers, divisions, splitting up assets, and like-kind exchanges. He has focused on the intricacies of partnership taxation, and has co-authored in-depth articles on partnership disguised sales and allocation of partnership nonrecourse liabilities. He is also involved in the taxation of transactions involving REITs. He has experience with various forms of debt workout transactions, involving cancellation of indebtedness and lender issues. He co-authors a bi-monthly column on real estate taxation in the New York Law Journal.

He received a B.A. summa cum laude from the University of Pennsylvania, and his J.D. from Columbia University, where he was a James Kent Scholar.

Losing Hand For Taxpayer in Dealer Property Case

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 23, 2017
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IRS Rules on Qualified Liabilities

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, June 28, 2017
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IRS Ruling Limits Exclusion to COD Income

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, April 26, 2017
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Regulations Address Partner Reimbursements

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, February 22, 2017
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New Regulations on Debt Share for Partnership Disguised Sales

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, December 28, 2016
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New Regulations Disregard Partnership "Bottom Guarantees"

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 26, 2016
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Calling All Foreign Pension Funds: Congress Enacts Important Exclusion from "FIRPTA"

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, February 24, 2016
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Just Kidding? IRS Requires Rent Allocations to Have Teeth

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, December 23, 2015
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Please Sir, May I Have Some More...Liabilities: An Analysis of the Partnership Nonrecourse Debt Allocation Rules

by Ezra Dyckman, Daniel W. Stahl
Published: Business Entities, December 7, 2015
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Sounds Like a Plan? Taxpayer Wins NYC Real Property Transfer Tax Aggregation Case

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 28, 2015
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California State Appellate Board Approves 1031 Exchange

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 26, 2015
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No Free Bites: Taxpayer Has Ordinary Income from Single Sale of Land

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 22, 2014
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Rock Bottom: Proposed Partnership Regulations Would Have Significant Impact

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 27, 2014
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Opportunities and Pitfalls in Structuring UPREIT Transactions

by Ezra Dyckman, Daniel W. Stahl
Published: Tax Notes, January 6, 2014
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Don't Forget to Park! Qualified Intermediary Sued for Botched Like-Kind Exchange

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 23, 2013
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Now or Never? Appellate Court Addresses Post-Closing Cost Segregation

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journel, August 28, 2013
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Adding Insult to Injury: The Sad Tale of a Short Sale

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, June 26, 2013
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Giving Up is Hard to Do: IRS Addresses Abandonment of Property Rules

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, April 24, 2013
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Appellate Court Rejects Tax Court Transaction

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 24, 2012
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Tax Court Addresses Real Estate Cost Segregation

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 22, 2012
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Uncovering Disguised Sales: An Analysis of the Partnership Disguised Sale Rules

by Ezra Dyckman, Daniel W. Stahl
Published: Bloomberg BNA Tax Management Real Estate Journal, June 6, 2012
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Tax Court Decision Highlights Passive Loss Rules For Real Estate Professionals

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, October 26, 2011
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Section 1031: Traps for the Unwary

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 24, 2011
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Court Recharacterizes Tax Credit Transfers: What Went Wrong?

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, June 22, 2011
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Series LLC -- Is It Finally Usable?

by Howard J. Levine, Daniel W. Stahl
Published: New York University -- 69th Institute on Federal Taxation, May 01, 2011
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Tax Court Finds Tax Credit Transaction to Have Economic Substance

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, April 27, 2011
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Canal Corp. v. Commissioner - Tax Court Decision May Have Narrow Applicability

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, February 23, 2011
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Series LLC -- Is It Finally Usable?

by Howard J. Levine, Daniel W. Stahl
Published: BNA Tax Management Real Estate Journal, November 03, 2010
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Carried Interest Legislation May Cover More Than You Think

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, August 25, 2010
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Tax Court Rejects IRS Recharacterization of Tax Credit Transaction

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, June 23, 2010
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Mezzanine Debt Accorded Status of Qualified Indebtedness

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, February 24, 2010
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Grouping a Rental Activity Under the Passive Loss Rules

by Ezra Dyckman, Daniel W. Stahl
Published: New York Law Journal, December 23, 2009
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