Dan Luchsinger chairs the firm's tax group. He practices in a broad range of federal income tax issues, including the structuring of partnerships and joint ventures; domestic and cross-border acquisitions and dispositions, including both inbound and outbound property and stock transfers; and cross-border corporate restructurings involving partnership issues, US subpart F minimization and foreign tax credit utilization, and foreign withholding minimization. Mr. Luchsinger regularly oversees multijurisdictional acquisitions and restructurings, drawing on a network of advisors of the highest caliber from around the world. Mr. Luchsinger advises both US and Non-US clients in a number of industries ranging from natural resource production and heavy manufacturing to consumer products. For almost a decade, Mr. Luchsinger taught Taxation of Partnerships at the Georgetown University Law Center and speaks regularly on a variety of federal income tax topics.