Eric Min – New York Business Lawyer

Eric Min

Baker McKenzie

(332) 215-9672

(212) 310-1600

https://www.bakermckenzie.com/

452 5th Ave,
New York , NY 10018

Monday to Friday 8:00am – 6:00pm
Saturday – Sunday Closed

Eric Min

Baker McKenzie

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Firm Summary

Eric Min is an associate in Baker McKenzie’s Global Tax Practice Group in New York. Eric offers strategic tax solutions for multinational clients, focusing on cross-border mergers and acquisitions, structuring international investments, and developing tax-efficient strategies for global operations. Eric identifies tax risks and opportunities, assisting clients in reducing liabilities and benefiting from favorable treatments. Prior to joining the Firm, Eric was a certified public accountant at a Fortune 50 company, where he concentrated on international tax matters.

Eric received his J.D. from Fordham University School of Law with a concentration in Tax Law. He was a recipient of the Milton Young Prize for excellence in the field of taxation.

Practice Focus

Eric focuses his practice on US and international taxation and transactions for multinational corporations. He advises US-based multinational companies on the US federal income tax aspects of structuring international operations and undertaking cross-border transactions.

Representative Legal Matters

  • Represented US publicly traded multinational clients in major internal restructurings, including post-acquisition integration and reorganization of foreign subsidiaries.

Professional Associations and Memberships

  • New York State Bar Association
  • American Bar Association; Taxation Section

Admissions

  • New York~United States (2021)
  • Certified Public Accountant~United States (2016)

Education

  • Fordham University School of Law (J.D., Dean’s List) (2020)
  • Western Washington University (B.A. in Accounting and Int’l Business, cum laude)

Languages

  • English
  • Co-author, “IRS re-emphasizes sponsored ADRs’ withholding obligations,” Baker McKenzie InsightPlus, April 28, 2023
  • Author, “United States: Characterization of payment for purposes of Section 162(f) turns on origin of liability giving rise to it,” Baker McKenzie InsightPlus, May 9, 2022
  • Author, “The application of the claw-back adjustment under the section 163(j) regulations capped by the IRS clarification,” Baker McKenzie InsightPlus,1 July 2021