Eric Homsi

Senior Counsel

Overview

Eric Homsi is a senior counsel in the firm's Tax Group, resident in the New York office. Mr. Homsi’s practice concentrates primarily on advising public and private companies with respect to business tax issues associated with structuring, negotiating, and executing domestic and cross-border acquisitions, divestitures, and restructurings. Mr. Homsi also counsels clients on tax issues associated with real estate investments and joint ventures, equity and debt securities offerings, and other transactions where tax considerations play an important role. In addition, he assists multinational businesses with inbound and outbound tax planning and strategy.

Mr. Homsi received his undergraduate degree summa cum laude from Pace University. He obtained a law degree cum laude from Seton Hall University. Mr. Homsi also received an LL.M. in taxation from New York University School of Law. He is admitted to the bar in New York and New Jersey.

Mr. Homsi is also a certified public accountant, and his prior professional experience includes practice with a Big Four accounting firm.

Career & Education

    • Pace University, BBA, summa cum laude, 2005
    • Seton Hall University School of Law, J.D., cum laude, 2010
    • New York University School of Law, LL.M., Taxation, 2013
    • Pace University, BBA, summa cum laude, 2005
    • Seton Hall University School of Law, J.D., cum laude, 2010
    • New York University School of Law, LL.M., Taxation, 2013
    • New York
    • New Jersey
    • New York
    • New Jersey

Eric's Insights

Client Alert | 3 min read | 10.07.25

Blocking the Blocked Income Rules? Loper Bright’s influence over the Eighth Circuit’s 3M decision.

On October 1, 2025, the Eighth Circuit decided 3M Co. v. Commissioner in the taxpayer’s favor, based on its application of Loper Bright. The question presented in the case was whether the IRS had the authority to reallocate royalty income to a U.S. parent company that its foreign subsidiary was prohibited from paying under foreign law. The court held that the best interpretation of the governing statute did not permit the IRS’s reallocation....

Eric's Insights

Client Alert | 3 min read | 10.07.25

Blocking the Blocked Income Rules? Loper Bright’s influence over the Eighth Circuit’s 3M decision.

On October 1, 2025, the Eighth Circuit decided 3M Co. v. Commissioner in the taxpayer’s favor, based on its application of Loper Bright. The question presented in the case was whether the IRS had the authority to reallocate royalty income to a U.S. parent company that its foreign subsidiary was prohibited from paying under foreign law. The court held that the best interpretation of the governing statute did not permit the IRS’s reallocation....