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Martin Euson, JD

Martin Euson, JD

Director, Tax

meuson@pkftexas.com | 

  • What I Do For Clients
  • Experience
  • Associations
  • Thought Leadership

Martin advises corporations and their shareholders regarding the federal income tax consequences of transactions, including mergers, acquisitions, divestitures, debt and equity offerings, internal restructurings, and consolidated return matters.  Additionally, Martin provides strategic buyers and sellers as well as private equity investors with tax due diligence and tax structuring services in connection with acquisitions and divestitures.

 

Martin also advises financially distressed companies regarding the tax implications of debt restructurings and bankruptcy reorganizations (Chapter 11), including cancellation-of-debt income, limitations on loss carryovers, tax attribute preservation and reduction, and bad debt and worthless stock loss deductions.

 

Moreover, Martin has significant experience advising corporations on the utilization and transferability of net operating losses and other favorable tax attributes, as well as the computation of earnings & profits and consolidated member stock basis.  

Industries Served

  • Oil and Gas
  • Oil Field Service Companies
  • Private Equity Markets

Pannell Kerr Forster of Texas, P.C., Houston, TX

Director, August 2016 – Present

 

Ernst & Young,Houston, TX

Senior Manager, Transaction Tax and Capital Markets

 

KPMG, Houston, TX

Senior Manager, M&A Tax practice 

 

Education

Franklin Pierce College, Rindge, NH

BS, Accounting

 

Albany Law School of Union University, Albany, NY

Juris Doctorate, 2002

  • American Bar Association
  • State Bar of Texas

Speaking Engagements

  • "Limitations on Net Operating Losses and Other Tax Attributes" - Bloomberg BNA – US Taxation of Mergers & Acquisitions Houston, December2015; December 2014; December 2013; San Francisco, May 2015
  • "US Tax Considerations in a Distressed Oil & Gas Market" - EY – Oil & Gas Tax Conference, Houston, September 2015
  • "Consolidated Return Considerations in M&A Transactions" - Tax Executives Institute – Current Issues in Consolidated Returns, Houston, February 2015
  • "Consolidated Return Issues in Acquisitions and Dispositions" - Bloomberg BNA – US Taxation of Mergers & Acquisitions, Houston, December 2014; December 2013
  • "Taxable Acquisitions and Tax Attribute Carryovers" -  KPMG LLP – Tax Business School Tax Skills Seminars and Tax Management Seminars Orlando and Chicago, semi-annually for years 2006 – 2010

 

Publications

  • Contributing author on "Bankruptcy and Insolvency Taxation” – Grant W. Newton and Robert Liquerman, Fourth Edition, 2012
  • Co-authored “338 Approach Provides BIG (and BIL) Benefits” – Corporate Taxation, 2011

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