Biography
Renan has been part of the teams advising:
- Aman Group S.a.r.l. in its sale of a $900 million minority stake to Cain International and The Public Investment Fund, in a transaction that valued Aman at $3 billion.
- AltC Acquisition Corp., a SPAC sponsored by AltC Sponsor LLC (an affiliate of M. Klein and Company, LLC), in its pending business combination with Oklo Inc.
- BCI, in the sale of its interest, alongside ATL and Audax, of Pilot Freight Services LLC to AP Moller - Maersk A/S (d/b/a Maersk).
- Brookfield Asset Management Inc. (n/k/a Brookfield Corporation) in connection with the spin-off of a 25% interest in its asset management business through a newly listed company, Brookfield Asset Management Ltd., with a market value of more than $50 billion as of the spin-off date.
- F&G Annuities & Life, Inc. in a $550 million unsecured revolving facility and in a $750 million unsecured revolving facility.
- Fidelity National Financial, Inc. in a $800 million senior unsecured revolving facility
- Goldman Sachs in the sale of its Personal Financial Management unit to wealth management firm Creative Planning.
- MSP Recovery, LLC in its $32.6 billion business combination with Lionheart Acquisition Corp. II.
During law school, Renan served as a judicial intern to the Honorable Antonio Arzola of the Eleventh Judicial Circuit Court of Florida.
Renan is a member of the American Bar Association Tax Section, the Florida Bar Tax Section, and a member of the Young Alumni Committee at the University of Miami School of Law.
Renan received his LL.M., with distinction, from Georgetown University Law Center, his J.D. from the University of Miami School of Law, where he was a member of the University of Miami Law’s Business Law Society, and his B.A., summa cum laude, from Florida International University.
Awards and Recognition, Speaking Engagements, Guides and Resources, Latest Thinking, Firm News & Announcements
Latest Thinking
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Proposed Treasury Regulations Update Tax Standards for Bad Debt Deductions by Regulated Financial Companies
Blog Post — Tax Blog
— By
Devon Bodoh,
Stuart J. Goldring,
Greg Featherman and
Renan Rodriguez
— January 05, 2024
On December 28, 2023, the U.S. Treasury Department (“Treasury“) and the Internal Revenue Service (“IRS“) issued proposed regulations (REG-121010-17) updating the standards for when a debt instrument held by a regulated financial company or a member of a regulated financial company group will be conclusively presumed to be worthless for U.S. federal income tax purposes
The post Proposed Treasury Regulations Update Tax Standards for Bad Debt Deductions by Regulated Financial Companies appeared first on Weil Tax BLOG.
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Firm News & Announcements
- Weil Advises Convertible Noteholders of Cazoo on $630M Exchange Offer and Series of Restructuring Transactions Deal Brief — December 13, 2023
- Weil Advises Goldman Sachs in Sale of Its Personal Financial Unit to Creative Planning Deal Brief — August 29, 2023