Charles (Chuck) Bogle’s practice covers a wide range of federal income tax-related matters, with a principal focus on the tax aspects of structured ﬁnance transactions. Chuck represents sponsors, managers, and underwriters in collateralized bond, loan, and debt obligation transactions, as well as issuers and underwriters in various asset-backed and insurance-related transactions, including credit card, auto loan, marketplace loan, payment plan, and mortgage securitizations. In addition, Chuck has a depth of knowledge regarding the tax aspects of both taxable and tax-free mergers, acquisitions and dispositions, particularly in the investment management space.
Chuck also has more than two decades of experience with the tax considerations relevant to sponsors and managers of investment funds, including hedge funds and private equity funds. In addition, he has a deep background in the tax aspects of various types of financings, and with the tax aspects of leveraged ESOP transactions.
New York University School of Law, 2002, Master of Laws
Columbia University School of Law, 1994, Juris Doctor
Loyola College, 1991, Bachelor of Arts
Awards and Affiliations
Member, Practice Group of the Year, Tax, Law360 (2017)