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Phil Antoon

Managing Director at Alvarez and Marsal

New York, United States

About Me

Philip Antoon is a Managing Director at Alvarez & Marsal Taxand, located in the New York office.

Since 1989, Philip Antoon has been assisting clients worldwide in the valuation of corporate entities and intangible assets, with in-depth focus providing these valuations for U.S. and international tax as well as U.S. financial reporting purposes.

Phil assists multinational companies with a wide array of valuations for both U.S. and international tax purposes, including valuations of legal entities and assets as part of internal tax reorganizations and spin offs; thin capitalization analyses for intercompany debt issuances; related party Intellectual Property transfers; cost segregation; transaction allocations for IRC Sections 338 and 1060; FIRPTA testing; interest expense apportionment; and NOL limitations and built-in gains, amongst others.

Phil has in-depth experience providing fair value analyses for ASC 350 and 805 purposes, valuing Reporting Units and a wide array of intangible assets including customer relationships and contracts, patented technology, trademarks and trade names, proprietary know-how, in-process research and development, franchise agreements, communications licenses, mining reserves, backlog, databases, and non-compete agreements, amongst others. 

Phil assists emerging companies with a variety of valuation-related services, including estimation of the value of the overall business, fractional interests, and intellectual property as part of a sale of the business, raising capital, borrowing, licensing of IP, 409A, intellectual property migration, and gift and estate tax purposes.

Phil also has in-depth experience in the valuation of common stock and preferred stock, options, and debt, having performed these valuations for tax, financial reporting, fairness and solvency opinions, restructuring, mergers and acquisitions, and financing purposes for companies across a variety of industries located throughout Europe, Asia, and North and Latin America.

Specialties: Valuations for Tax PurposesIntellectual Property ValuationBusiness ValuationsFinancial Reporting ValuationsValuation of Emerging Companies

Phil Antoon's Passles

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GILTI Tax Part 2 - Valuing a Pass-Through Entity

Last week we discussed the need to consider the GILTI tax when valuing a U.S. corporation with global operations. The GILTI tax is even...

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unknownx500 Alex Bellink

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QIP - Small Window of Opportunity

Having just provided the bad news regarding Qualified Improvement Property, here is some good news:

There appears to be a small window of...

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unknownx500 romanboed

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Update on an Unpleasant Cost Segregation Surprise

Unfortunately, based on recent comments from Treasury, there may be no fix for Qualified Improvement Property being stuck in a 39-year...

Read More…
unknownx500 romanboed

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