Inbound/outbound international transactions involving C corporations, partnerships, and indivudals. Experience with issues surrounding foreign tax credits, corporate restructuring, subpart F income, and permanent establishment.
LL.M. in Taxation, Northwestern University School of Law
J.D., University of Maine
B.A. in Classics, College of the Holy Cross
Resources and events
Article 1/27/2023Why Is U.S. Entity Classification of Foreign Subsidiaries Important?
Article 2/4/2021Brexit Finally Happened — What Next?
Article 1/6/2021Cross-Border Tax Issues for Inbound Companies
Article 9/8/2020High-Tax Exception to Global Intangible Low-Taxed Income
Article 5/1/2018BEAT Is the New AMT for US and Non-US Corporations