Creative solutions for today’s complex, multi-tiered business organizations often require blending state and local tax expertise with our substantive knowledge of the federal tax treatment of corporate, partnership, real estate and international transactions. To provide our clients with this capability in New York’s challenging tax environment, Roberts & Holland has developed extensive in-depth experience working with virtually all the New York State and City taxes. Our attorneys address state and local tax issues with the same intensity, creativity and overall business perspective they apply to federal tax issues.
Our clients include banks, utilities, insurance companies, public and privately held manufacturing, retail, service, finance and real estate companies. We also provide New York tax expertise to tax professionals across the country, functioning as a special resource to major law firms, accounting firms and in-house corporate tax departments. We have been brought in as special counsel on a number of large mergers, which although tax free for federal purposes, had the potential to involve significant New York State and City sales and transfer taxes. We have been able to identify structural and operational issues and develop solutions to minimize taxes for the new group.
In addition to structuring major transactions, such as mergers, acquisitions, dispositions, refinancings and public offerings, we also provide overall tax planning and assistance in the conduct of audits, appeals and litigation. For many of our national and international clients, a fundamental question is whether sufficient nexus exists to be subject to New York tax, a question that requires analysis of the entity’s activities and, increasingly, its involvement with affiliates that are present in the State. We advise on issues of allocation and apportionment, unitary business and combined reporting.
Businesses conducted in non-corporate form, including LLCs and LLPs, frequently encounter difficulty with New York City’s Unincorporated Business Tax (UBT). Our extensive experience with the taxation of pass-through entities in many different industries enables us to provide our clients with creative planning ideas, as well as assistance with UBT audits. We also represent clients in sales, personal income, residence, gift and estate tax matters.
We are widely recognized for our skill and experience dealing with the many transactional taxes that New York applies to real estate transactions, which can have significant, often unanticipated, effects. We advise clients on all aspects of these taxes, from straightforward property sales to sophisticated leasing transactions, partnership structures, corporate mergers and spin-offs, securitized financings, workouts, foreclosures and bankruptcies. Due to the breadth of our planning and controversy experience in this area, we are often called upon to work with government officials and legislative committees to develop statutory provisions, regulations and administrative solutions to industry problems.
Roberts & Holland has developed excellent working relationships with New York State and City tax administrators based on technical expertise and mutual respect. We can readily access the right people to secure informal guidance or expedite rulings, audit resolutions and settlements. Many of our clients call upon us to help them effectively navigate the complex administrative practices and procedures involved in the audit and appeals processes of the State and City. If a case must go to trial, our attorneys bring a wealth of litigation experience to the counsel table, including an intimate knowledge of the structure, procedures and operations of New York’s Tax Tribunals. We have litigated issues under virtually every type of State and City tax at every level in the judicial system, including the New York State and City Tax Appeals Tribunals, the New York State Supreme Court and the Appellate Divisions, and the Court of Appeals, New York’s highest court.
- April 17, 2026
- Publications
Consequences of Corporate Status Suspension
- Elliot Pisem, David E. Kahen
- New York Law Journal
- February24, 2026
- Publications
New Law Limits Investment Interest Expense Deductions
- Ezra Dyckman, Charles S. Nelson
- New York Law Journal
- October 22, 2025
- Publications
Disallowance of Excess Business Losses Made Permanent
- Ezra Dyckman, Charles S. Nelson
- New York Law Journal
- September 5, 2025
- Publications
Recent Court Cases That Tax Professionals Should Know
- Ellen Seiler Brody
- Tax Stringer, A publication by the New York State Society of CPAs
- 4/17/2025
- Publications
Inclusion in Taxable Income of Government Aid: CF Headquarters Corp. v Commissioner
- Elliot Pisem, David E. Kahen
- New York Law Journal
- 03/03/2025
- Publications
In Case You Missed It – March 2025 Update
- Ellen Seiler Brody
- TaxStringer
- 09/18/2024
- Publications
- 08/24/2022
- Publications
NYC Issues Transfer Tax Ruling on Sale of Multiple Condo Units
- Ezra Dyckman, Charles S. Nelson
- New York Law Journal
- 02/23/2022
- Publications
- 06/08/2021
- Publications
Recent Case Demonstrates Difficulties in Changing Domicile
- Joseph Lipari, Ellen Seiler Brody
- New York Law Journal
- 06/02/2021
- Publications
- 03/01/2021
- Publications
- September 2, 2020
- Publications
In Case You Missed It – September 2020
- Ellen Seiler Brody, Ellen S. Brody
- TaxStringer
- May 1, 2020
- Publications
- April 10, 2020
- Publications
Major Tax Changes in the CARES Act
- Elliot Pisem, Ellen Seiler Brody
- R&H Client Letter
- March 1, 2020
- Publications
Automobiles under the Tax Cuts and Jobs Act of 2017
- Ellen Seiler Brody, Cory M. Paul
- Tax Stringer
- July 25, 2019
- Publications
- April 24, 2019
- Publications
Buyer (and Seller) Beware: Changes to NYS Transfer Tax and Mansion Tax
- Ezra Dyckman
- New York Law Journal
- March 8, 2019
- Publications
In Domicile Case, Tax Department Taxes Another “Bizarro” Position
- Joseph Lipari, Aaron S. Gaynor
- New York Law Journal
- March 8, 2019
- Publications
Apple Sales Tax Case Disregards Form of Transaction
- Joseph Lipari, Aaron S. Gaynor
- New York Law Journal
- February 28, 2019
- Publications
Marriage and the 2017 Tax Reform Law
- The Daily Tax Report
- December 13, 2018
- Publications
Recent Opinion Holds Office Is Not a “Permanent Place of Abode”
- Joseph Lipari, Aaron S. Gaynor
- New York Law Journal
- November 7, 2018
- Publications
Qualified Opportunity Zones and Select Partnership Issues
- Tax Management Real Estate Journal
- December 7, 2017
- Publications
Aggressive Tax Planning Backfires in NYC Installment Sale Case
- Joseph Lipari
- New York Law Journal
- August 1, 2017
- Publications