The new second edition of David Feldman's book, Reverse Mergers (Bloomberg Press, 2009), received a 4.5 star rating from commentator Steven Bragg. Read the review.
David Feldman quoted in an article on finance reform in the May 2010 issue of The Reverse Merger Report. More>>
September 28, 2010 David Feldman will be speaking on trending in M&A, IPOs and APOs at the Foundation for Accounting Education's SEC conference at the Marriott Marquis in New York. More>>
August 27, 2010 Scott Miller's article - Current Trends in Reverse Mergers - is featured in Aramar Capital Group's and Bryant Park Capital's 3rd Quarter 2010 Middle Market Update. More>>
July 14, 2010
Listen in on David Feldman's fifth podcast, an introduction to Form 10 shells. Click Here
April 20, 2010
Listen in on David Feldman's fourth podcast, an introduction to shell companies. Click Here
Pre-order the 2nd edition of David Feldman's book Reverse Mergers & Other Alternatives to Traditional IPOs (Bloomberg Press) at: http://www.amazon.com
The new edition will be released December 2, 2009.
David Feldman is a contributor to The Issuer's Guide to PIPEs: New Markets, Deal Structures, and Global Opportunities for Private Investment in Public Equity (Bloomberg Press).
You can pre-order this book at www.amazon.com.
The book will be released in December 2009.
David Feldman's book, Reverse Mergers: Taking a Company Public Without an IPO, now in its third printing, was published in 2006 by Bloomberg Press (available on http://www.amazon.com). View David Feldman's reverse merger blog at www.reversemergerblog.com.
David Feldman is a contributor to PIPES: Revised and Updated Edition - A Guide to Private Investments in Public Equity (Bloomberg Press, 2005) available on http://www.amazon.com.
Attorney Bios
Paul D. Wigg-Maxwell Tax, Trusts and Estates
Paul D. Wigg-Maxwell is Special Counsel to Feldman LLP. His practice includes individual and corporate tax planning, estate planning and administration. Paul has extensive experience in advising domestic and international individuals and corporations on tax and estate planning issues in connection with business formation, financings, joint venture agreements, mergers and acquisitions, asset purchases and sales, executive compensation, transfer of family businesses, tax favored investments, pension distribution planning, wealth preservation and estate planning. Paul has represented clients in tax controversies with the IRS and state tax authorities. He has also represented clients with matters on examination (audit), at IRS Appeals, at the Tax Court and at the U.S. Competent Authority (a special proceeding under an international tax.