Mintz Levin Cohn Ferris Glovsky and Popeo PC Rating

Profile Completion:Not Rated
Site Activity:Not Rated
Knowledge:Not Rated
Experience:Not Rated

CONTACT INFORMATION

Mintz Levin Cohn Ferris Glovsky and Popeo PC
617.542.6000
Email
DHauer@mintz.com
Fax
617.542.2241
ADDRESS
Boston, MA, 02111
State
Massachusetts
Blog
Linked In
Twitter
@MintzLevin
Facebook

PRACTICE AREAS

Immigration Attorney
Tax & Estate Attorney

LANGUAGES

English
German
Hebrew
Russian

2 followers

Douglas  HauerWilliam A. Davis

Last Update: August 06, 2019 12:08 AM

Firm was viewed 1445 times (total).

Mintz Levin Cohn Ferris Glovsky and Popeo PC

(21%)

Not your standard practice.

Our attorneys are no-nonsense, get-to-the-root-of-the-problem kind of people. If there’s a faster way to get there, we’ll find it. It’s our job to give you clear answers and sound solutions.

We focus on what matters to you — whether it’s overcoming a legal challenge, taking your business to the next level, or having a trusted partner for ongoing legal advice. Think of us as an extension of your team with the legal know-how, connections, and industry experience to safeguard your interests.

It’s also our job to make sure you are meeting the people you need to know. We have a network of some of the sharpest business leaders, money people, and legal minds on the planet. Our attorneys are always looking for ways to leverage our resources on clients’ behalf.

We help you move your agenda forward and deal effectively and efficiently with obstacles that come between you and your goals. Responsive, aggressive problem-solving is a Mintz Levin hallmark and the foundation of the firm’s success and growth since 1933.

Industry Focus

We immerse ourselves in our clients’ industries. It’s our job to advise you about what’s ahead, what to watch out for, and where the new opportunities are. Our attorneys are encouraged to think like clients and understand their goals, the challenges they face, and the opportunities that drive them.

Mintz Levin serves clients of all sizes and at all stages of growth. We represent Fortune 500 companies, entrepreneurs, emerging growth and established companies, government agencies, and nonprofits. The firm brings attorneys from complementary practices and geographies to address the rapidly changing legal and regulatory environment of many industries.

Mentions

  • DHS’s Final EB-5 Regulations: What Stakeholders Need to Know
  • Immigration Debate Begins: Prospects for EB-5 Reform & Reauthorization
  • Getting Ready for Change in the EB-5 Ecosystem
  • 3 Ways To Prepare For The EB-5 Regional Center Audits
  • Post-Election Congress Returns for Lame-Duck Session What to Expect?
  • EB-5 Will Likely Be Extended as Part of Continuing Resolution Through December 9, 2016
  • EB-5 Investor Visa Program Again Facing Prospect of Expiring for Third Time in 12 Months
  • EB-5 Reauthorization Heading into Lame Duck Session of Congress
  • EB-5 Securities Law Roundtable Offers Technical Language Resource to Lawmakers
  • NASAA Publishes Fraud Alert for EB-5 Investors
  • Three Immigration Lawyers Sanctioned by the SEC for Brokering EB-5 Investments
  • I-526 Processing Delays Expected to Continue into 2017
  • State gives EB-5 re-approvals to SouthFace Village at Okemo
  • Okemo receives DFR approval for EB-5 project
  • A Preview of Business Immigration in 2016: H-1B
  • Securities Law Risk Mitigation in EB-5 Offerings
  • SEC Nabs Immigration Lawyers Acting as Unregistered Brokers, Orders Fines and Disgorgement
  • Securities Law Risk Mitigation In EB-5 Offerings
  • Questions EB-5 Regional Centers Should Be Asking When Purchasing D&O Coverage
  • The SEC’s Common Sense Approach to Private Placements and General Solicitation
  • Regulation S Safe Harbor in EB-5 offerings
  • Recent SEC action against Luca Funds highlights perils of EB-5 deals for investors
  • EB-5 Program Reauthorization: Proposed Legislative Reforms
  • FINRA Provides Guidance on the Applicability of the Suitability Rule to Broker-Dealers Marketing Private Placements in the EB-5 Context
  • Unregistered Broker-Dealers: Risky Business for EB-5 Developers
  • Using Finders to Assist in Financings Can Impose Significant Risks on Your Company

News & Updates

DHS’s Final EB-5 Regulations: What Stakeholders Need to Know
August 05, 2019
Immigration Debate Begins: Prospects for EB-5 Reform & Reauthorization
February 12, 2018
Getting Ready for Change in the EB-5 Ecosystem
June 02, 2017
3 Ways To Prepare For The EB-5 Regional Center Audits
March 31, 2017
Post-Election Congress Returns for Lame-Duck Session What to Expect?
November 02, 2016
EB-5 Will Likely Be Extended as Part of Continuing Resolution Through December 9, 2016
September 22, 2016
EB-5 Investor Visa Program Again Facing Prospect of Expiring for Third Time in 12 Months
September 21, 2016
EB-5 Reauthorization Heading into Lame Duck Session of Congress
September 01, 2016
EB-5 Securities Law Roundtable Offers Technical Language Resource to Lawmakers
August 29, 2016
NASAA Publishes Fraud Alert for EB-5 Investors
August 26, 2016
Three Immigration Lawyers Sanctioned by the SEC for Brokering EB-5 Investments
August 24, 2016
I-526 Processing Delays Expected to Continue into 2017
August 02, 2016
State gives EB-5 re-approvals to SouthFace Village at Okemo
July 21, 2016
Okemo receives DFR approval for EB-5 project
July 15, 2016
A Preview of Business Immigration in 2016: H-1B
February 04, 2016
Securities Law Risk Mitigation in EB-5 Offerings
December 14, 2015
SEC Nabs Immigration Lawyers Acting as Unregistered Brokers, Orders Fines and Disgorgement
December 08, 2015
Securities Law Risk Mitigation In EB-5 Offerings
December 01, 2015
Questions EB-5 Regional Centers Should Be Asking When Purchasing D&O Coverage
November 17, 2015
The SEC’s Common Sense Approach to Private Placements and General Solicitation
August 19, 2015
Regulation S Safe Harbor in EB-5 offerings
July 16, 2015
Recent SEC action against Luca Funds highlights perils of EB-5 deals for investors
July 13, 2015
EB-5 Program Reauthorization: Proposed Legislative Reforms
July 09, 2015
FINRA Provides Guidance on the Applicability of the Suitability Rule to Broker-Dealers Marketing Private Placements in the EB-5 Context
September 16, 2013
Unregistered Broker-Dealers: Risky Business for EB-5 Developers
August 07, 2012
Using Finders to Assist in Financings Can Impose Significant Risks on Your Company
April 29, 2011

Attorney (Immigration)

Douglas Hauer

Member

William A. Davis

Securities Disclaimer

This website is for informational purposes only and does not constitute an offer or solicitation to sell shares or securities. Any such offer or solicitation will be made only by means of an investment's confidential Offering Memorandum and in accordance with the terms of all applicable securities and other laws. This website does not constitute or form part of, and should not be construed as, any offer for sale or subscription of, or any invitation to offer to buy or subscribe for, any securities, nor should it or any part of it form the basis of, or be relied on in any connection with, any contract or commitment whatsoever. EB5Projects.com LLC and its affiliates expressly disclaim any and all responsibility for any direct or consequential loss or damage of any kind whatsoever arising directly or indirectly from: (i) reliance on any information contained in the website, (ii) any error, omission or inaccuracy in any such information or (iii) any action resulting therefrom.