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Jay D. Rosenbaum

Partner at Nixon Peabody LLP
Boston, Massachusetts
Individuals and families are at the core of my practice, with a strong focus on international families. I also serve domestic high net worth families and have special experience integrating estate and business planning.

International Private Clients
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Individuals and families are at the core of my practice, with a strong focus on international families. I also serve domestic high net worth families and have special experience integrating estate and business planning.

International Private Clients

I bring US-focused private client experience to the international marketplace. I advise families around the globe who require professional yet practical structuring of their assets and management of tax exposures in multiple jurisdictions. I also serve as an onshore US trustee for many international families.

High-Net-Worth Individuals and Families

I advise many families, in the US and abroad, in their estate planning. I take a broad and long view of my relationships with my clients and work to ensure that clients’ hard earned assets are preserved and protected for the benefit of multiple generations. I serve as a trustee or executor for many of my clients and so steward the implementation of our planning over time.

Integrated Individual and Business Planning

Early in my career my practice was focused on middle-market corporate transactions. I draw on that experience to develop integrated planning techniques for my individual clients who own businesses and require that strategies be implemented at the personal and corporate levels.

Probate Litigation

I represent families and financial institutions when disputes arise in the context of estate planning and wealth management structures.

About Me

What publications have you contributed to?
Taxpayer-Friendly Guidance for US Taxpayers Residing in United Kingdom(Link)
EAPD Client Alert
August 15, 2011

The Internal Revenue Service recently issued Revenue Ruling 2011-19 which provides good news for many United States taxpayers who are long term residents of the United Kingdom. The ruling concludes that the current £30,000 Remittance Basis Charge is eligible for the credit against foreign taxes under section 901 of the Internal Revenue Code.
What honors or awards have you received?
Best Lawyers in America, 2008-
Massachusetts Super Lawyer

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Associations

Association Position
American College of Trusts and Estates Counsel
ACTEC
Society of Trust and Estate Practitioners
Boston Bar Association
STEP

Education

School Degree Graduation Year
Boston University BA magna cum laude, Religion 1995
Boston University School of Law JD cum laude, Law 1995

Contact Information

Nixon Peabody LLP

100 Summer St FL 25
Boston, MA 02110