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Amir Kia Waxman

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Amir-Kia Waxman is a partner in Baker McKenzie's Tax Practice Group, based in the Firm's New York office. Amir-Kia's practice is primarily focused on the tax-efficient structuring of international operations and transactions including reorganizations, spin-offs and mergers and acquisitions. He regularly publishes in the Firm's North America Tax Practice Group's monthly newsletter, "Tax News & Developments," and assists with drafting client alerts on newly released tax legislation.
Amir-Kia previously worked in the Firm's London and Amsterdam offices as part of Baker McKenzie's Associate Training Program, where he provided US tax advice to clients based in Europe.

Earlier this summer, the US Administration’s Working Group on Digital Asset Markets published a report, entitled Strengthening American Leadership in Digital Financial Technology. The Report contains recommendations for revising existing legislation and IRS guidance regarding trusts engaged in cryptocurrency staking, Code provisions that may deny recognition of gains or losses by active securities traders, and reporting requirements for participants in digital asset transactions and for the exchanges that facilitate such activities

On July 4, 2025, the One Big, Beautiful Bill Act was signed into law, making important changes to the Internal Revenue Code. The Act has implications for US and non-US companies and their domestic and international transactions, capital investment, and research and development activities, amongst other areas, which carry significant weight for the cryptocurrency/digital asset industry. From cryptocurrency exchanges, payment processors, asset managers and cryptocurrency funds to mining companies, token issuers, custodians, and centralized or decentralized lending platforms, the Act’s provisions reshape the tax landscape in ways that demand close attention.

On 25 August 2023, the United States Treasury Department issued a notice of proposed rulemaking regarding tax reporting by brokers of transactions involving the sale or exchange of digital assets (“Proposed Regulations”). These long-awaited Proposed Regulations are in response to section 80603 of the Infrastructure Investment and Jobs Act of 2021, which expanded the scope of information reporting obligations for brokers under Code section 6045 to cover transfers of digital assets.