|Practical International Tax Strategies, Volume 14, No. 9||IRS Issues Notice 2010-41 Outlining Regulations to be Issued that will Treat Domestic Partnerships as Foreign Partnerships under the Controlled Foreign Corporation Rules||2010|
|Practical U.S./International Tax Strategies, Volume 14, No. 3||IRS Continues Push Against Perceived Abuses in the International Arena by Redemptions through Controlled Corporations||2010|
|Practical U.S./Domestic Tax Strategies, Volume 9, No. 9||IRS Permits Debt Treatment for Trust Preferred Securities with 'Significantly More' Equity Characteristics||2009|
|Practical U.S./International Tax Strategies, Volume 13, No. 10||Obama Administration Takes Aim at Inversion Transactions with Enhanced Surrogate Foreign Corporation Rules||2009|
|Practical U.S./Domestic Tax Strategies, Volume 9, No. 2||Corporate Spin-Offs, Split-offs and Split-Ups: IRS and Treasury Close a Trap for the Unwary||2009|
|New York University School of Law||LLM||2008|
|University of Maryland School of Law||JD - Juris Doctor||2007|
|University of Maryland, Baltimore County (UMBC)||BA||2003|
Endorsements from fellow lawyers are an important consideration for many when selecting the right attorney. Be the first to endorse your colleague!
Our Rating is calculated using information the lawyer has included on their profile in addition to the information we collect from state bar associations and other organizations that license legal professionals. Attorneys who claim their profiles and provide Avvo with more information tend to have a higher rating than those who do not.
Years licensed, work experience, education
Peer endorsements, associations, awards
Publications, speaking engagements