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Peter M Daub

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Rating: 9.2

Licensed for 43 years

Tax Lawyer at Washington, DC
Practice Areas: Tax

815 Connecticut Avenue N.W., Washington, DC

About Peter

Practice Areas

1

Practice Area

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Licenses

Licensed in District of Columbia for 36 years

State: District of Columbia

Acquired: 1990

Good Standing

No misconduct found

Licensed in New York for 43 years

State: New York

Acquired: 1982

Currently Registered

No misconduct found

Location

Baker & McKenzie, LLP

815 Connecticut Avenue N.W., Washington, DC, 20006

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Peter M Daub's Reviews

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Experience

Rating:  9.2 (Superb)

Honors

2007

Global Leading Lawyers,

2006

Best Lawyers in America,

2005

One of the Best Tax Lawyers in Washington D.C.,

Associations

American Bar Association

Member

District of Columbia Bar

Member

International Bar Association

Member

Education

1981

Yale Law School

JD - Juris Doctor

1978

Harvard University

A.B.

Publications

2006

Journal of International Taxation Swallows: Rare Tax Court Invalidation of an International Tax Regulation

2004

Journal of International Taxation Section 269(a) Across the Border: An Appraisal

2004

Journal of Corporate Taxation The Proposed Contingent Nonperiodic NPC Regulations — An Overview

2001

Journal of International Taxation Importing and Exporting Basis and Other Tax Attributes: Do We Need a New System?

1998

Journal of International Taxation IRS Takes a Stand Against “Abusive” Foreign Tax Credit Structures, But Does It Have the Authority?

1993

Journal of International Taxation Tax Court Allows Apportioning Fifty Percent of Cross-Border Sales to Foreign-Source Income

1993

Journal of International Taxation Earnings Stripping Proposal Has U.S. Subs Looking to Replace Parent-Guaranteed Debt

1993

Journal of International Taxation IRS Refines Approach to Cross-Border Related Corporation Sales

1991

Tax Managment International Journal An Analysis of the Earnings Stripping Regulations

1991

Journal of International Taxation Recent Ruling Allows Foreign Tax Credit for Cash Repatriations

1990

Journal of International Taxation Foreign Finance Subsidiaries Are Still Useful After TRA ‘86

1989

Tax Managment International Journal Rev. Rul. 89-72: Foreign Base Company Sales Income Earned by Partnerships
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Avvo Rating Levels
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