10.0
Superb
No professional misconduct found.
Overview
Practice Areas
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Contact Information
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References
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Résumé
Licenses
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19 years
since Peter M Daub was first licensed to practice law in DC.
We have not found any instances of professional misconduct for this lawyer.
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Education
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| School |
Major |
Degree |
Graduated |
| Yale Law School |
Law |
JD - Juris Doctor |
1981 |
| Harvard University |
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A.B. |
1978 |
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Awards
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| Award Name |
Granting Organization |
Date |
| Global Leading Lawyers |
Chambers USA |
2007 |
| Best Lawyers in America |
Best Lawyers in America |
2006 |
| One of the Best Tax Lawyers in Washington D.C. |
Washingtonian Magazine |
2005 |
See all 3 awards
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Associations
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| Position |
Association Name |
Duration |
| Member |
American Bar Association |
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| Member |
District of Columbia Bar |
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| Member |
International Bar Association |
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See all 3 association entries
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Portfolio
Publications
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| Article |
Publication |
Date |
| Swallows: Rare Tax Court Invalidation of an International Tax Regulation |
Journal of International Taxation |
2006 |
| Section 269(a) Across the Border: An Appraisal |
Journal of International Taxation |
2004 |
| The Proposed Contingent Nonperiodic NPC Regulations – An Overview |
Journal of Corporate Taxation |
2004 |
| Importing and Exporting Basis and Other Tax Attributes: Do We Need a New System? |
Journal of International Taxation |
2001 |
| IRS Takes a Stand Against “Abusive” Foreign Tax Credit Structures, But Does It Have the Authority? |
Journal of International Taxation |
1998 |
| Tax Court Allows Apportioning Fifty Percent of Cross-Border Sales to Foreign-Source Income |
Journal of International Taxation |
1993 |
| Earnings Stripping Proposal Has U.S. Subs Looking to Replace Parent-Guaranteed Debt |
Journal of International Taxation |
1993 |
| IRS Refines Approach to Cross-Border Related Corporation Sales |
Journal of International Taxation |
1993 |
| An Analysis of the Earnings Stripping Regulations |
Tax Managment International Journal |
1991 |
| Recent Ruling Allows Foreign Tax Credit for Cash Repatriations |
Journal of International Taxation |
1991 |
| Foreign Finance Subsidiaries Are Still Useful After TRA ‘86 |
Journal of International Taxation |
1990 |
| Rev. Rul. 89-72: Foreign Base Company Sales Income Earned by Partnerships |
Tax Managment International Journal |
1989 |
See all 12 publications
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