International TaxOur attorneys have developed wide experience handling all types of U.S. federal income tax issues involving both activities of United States taxpayers in foreign countries, and activities of foreign taxpayers in the United States. Our firm serves individuals and corporations throughout the United States and all over the world.
Our international tax attorneys have mastered all areas of international business taxation, including foreign acquisitions, dispositions and restructurings, joint ventures, tax planning for intangibles, use of hybrid entities and hybrid enticements, inter-company transfer pricing (to include negotiating advance pricing and competent authority agreements), income sourcing, foreign tax credits, allocation and apportionments of deductions, subpart F, income tax treaties, foreign currency transactions, tax-favorable foreign financing techniques, and tax-planning for peripatetic high-net worth individuals. The lawyers within our international group are involved in analyzing these issues in connection with tax planning transactions and in tax controversies with the Internal Revenue Service. We also have the benefit of significant government and private sector experience, which we believe facilitates successful outcomes for our clients. In addition to our talented team of attorneys, we have access to an extensive network of leading firms and practitioners around the world. We are able to call upon the expertise of these colleagues at any time, in order to respond quickly to our clients' needs. Our clients include United States and foreign multinational corporations. See more information on attorneys in this practice group H. Stewart Dunn, Jr. We have offices in Washington, D.C. and Los Angeles, California and provide legal advice and services to clients both nationally and internationally. |