Benjamin Bacon collaborates with Fortune 500 companies to navigate complex state and local tax challenges throughout the business lifecycle. He advises clients on the state tax implications of corporate restructurings, mergers, acquisitions, divestitures, and debt planning. His practice includes providing legal counsel on both the domestic and international aspects of inter-company planning, financing structures, and debt transactions, as well as the evolving impact of U.S. federal and state tax reform.
Benjamin advises clients on a wide range of state and local tax matters, including income and franchise, transactional taxes, and gross receipts taxes. In addition, He also advises on transaction planning and structuring, as well as state tax controversy matters. Benjamin counsels clients on key multistate tax considerations such as filing methodologies, nexus determinations, receipts sourcing, and the utilization of tax attributes.
Benjamin represents clients in a variety of industries, including consumer products, media, technology, and industrial sectors, on multistate tax matters, transaction structuring issues, and state tax planning strategies.
Before joining the firm, Benjamin spent more than 20 years at a Big Four accounting firm, where he advised clients on a broad range of multistate tax matters.
J.D., Syracuse University College of Law, 2005
B.A., cum laude, Hope College, 2002
Connecticut
District of Columbia
New York (pending)
Florida (pending)
United States Tax Court
State Tax Law LLC
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