Ozzie A. Schindler

Ozzie A. Schindler

recognized lawyers icon Recognized in Best Lawyers since 2006
Awarded Practice Areas
Tax Law
Awarded Practice Areas
Tax Law
Ozzie A. Schindler
Ozzie A. Schindler
Miami, FL
Works at
Greenberg Traurig

616 Best Lawyers awards

Greenberg Traurig logo

Biography

Ozzie Schindler's international tax practice includes all aspects of international tax planning, both private client tax planning (pre-immigration, structuring U.S. investments, expatriations, etc.) and corporate (mergers and acquisitions, global tax minimization, e-commerce, controversy matters, etc.).

Works at
Greenberg Traurig

616 Best Lawyers awards

Greenberg Traurig logo

Locations

Languages

  • Hebrew

Education

  • University of Florida, J.D., graduated 1993
  • University of Florida, BS, graduated 1990

Bar Admissions

  • Florida, The Florida Bar
  • New York, New York State Bar Association

Client Testimonials

Ozzie knows how to navigate the complex world of international tax while focusing on his client's true interests. He has impressed me from day one.

Awards & Focus

Lawyer of the Year Badge - 2023 - Tax Law
Named "Lawyer of the Year" by Best Lawyers® for:
  • Tax Law, Miami (2023)
Recognized in The Best Lawyers in America® 2026 for work in:
  • Tax Law
Awards:
  • American Jurisprudence Awards for International Business Transactions and Family Law
  • Legal 500 United States, 2007-2009, 2011
  • M&A Deal of the Year Award, Latin Lawyer magazine, 2008
  • Chambers & Partners Latin America, Corporate M&A, 2009
  • Chambers Global, Corporate/M&A, 2008-2009, 2011-2012
  • Super Lawyers magazine, Florida Super Lawyers, 2006-2013
  • Chambers USA Guide, 2004-2013

Case History

Cases
  • Areas of Concentration
  • Tax planning, particularly for high-net worth clients
  • Structuring investments into the United States
  • Pre-immigration tax planning and other aspects of cross-border planning
  • Off-shore tax and estate planning
  • Pre-immigration and expatriation tax planning
  • Structuring U.S. investments of non-U.S. persons
  • Acquisition, ownership and disposition of U.S. real estate
  • Tax planning for U.S.-based multinational companies on foreign operations
  • Structuring cross-border acquisitions, joint ventures and other business combinations
  • Representing clients in controversy matters with the IRS

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