Increasing complexities and growing transparency considerations in the international business community create tax challenges for corporations with global operations, particularly in light of tax reform. With over five decades of experience handling sophisticated cross-border matters for our clients, Caplin & Drysdale’s International Tax Group is well-versed in addressing these challenges. Many of our lawyers formerly held senior roles in the Internal Revenue Service, the Department of Justice, and the Treasury Department, giving insight into how U.S. tax law is administered and enforced. Several had senior in-house positions with leading multinational companies. Our collective experience in government, corporate, and private practice means we bring a unique combination of technical background and tactical judgment to resolving our clients’ most sensitive matters.

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  • Structuring to Address the Base Erosion and Anti-Abuse Tax

  • Finding Foreign Derived Intangible Income Under the Proposed Regulations (Panel)

  • Impact of U.S. tax reform on transfer pricing – The industry view