Jim Fuller is a partner in the tax group at Fenwick & West in Mountain View, California. Irving Plotkin, senior managing director of PwC's tax and economic controversy practice and a member of its national tax service based in Boston, is one of the premier experts in the field of transfer pricing and other complex domestic and international tax issues such as economic substance, financial products, and insurance. "Mayer Brown is 'among the best' and fields a large team…dedicated exclusively to tax controversy and transfer pricing," said Legal 500 and its sources in the 2014 US edition. Email: sstewart@mayerbrown.com He has served as Fenwick & West's ADR coordinator, as an American Arbitration Association arbitrator, and has been involved in numerous mediations and arbitrations. PwC advises companies in a range of industries on such issues as corporate finance, information technology, mergers and acquisition... Information without innovation is just data, James Connolly’s role in PwC is Pharmaceutical & Life Sciences Leader (US), James Connolly’s direct phone number is (617) ***-****, James Connolly’s HQ phone number is +44 20 7583 5000. He holds an LLM in tax from New York University School of Law, and is a member of the American and Washington, DC Bar associations. 191 Peachtree St Ste 2000 Tel: +1 212 891 3944Fax: +1 212 310 1644 On the transactional side, David represents equity investors, lenders and lessees in equipment and real estate leasing transactions such as sale-leasebacks, leveraged and single-investor leasing, cross-border lease arrangements, acquisition and divestiture of leasing portfolios and leasing subsidiaries and related tax-oriented financing structures and debt instruments. Scott's experience also includes acquisition-related issues, such as valuation of tangible and intangible assets. Todd is a licensed attorney and a CPA, as well as a member of the American Bar Association, the New York State Bar Association, the American Institute of Certified Public Accountants, and the New York Society of Certified Public Accountants. US, Tel: +1 415 783 5567Fax: +1 415 783 8962 Deloitte Will Owe a Group of Female Workers In Tennessee $275,000 to Get the DOL Off Its Back, The CPA Exam Overlords Are Extending Continuous Testing to Candidates In India, Big 4 Lawsuits: Ex-Deloitte Manager vs. Deloitte, Ex-Deloitte Switzerland Partner vs. Deloitte, Ex-PwC Employees vs. PwC, CohnReznick Employees Were Made Whole Once Again, Moss Adams Poaches Someone From EY and Issues a Press Release, Parts I and II, KPMG Fined $1.3 Million By the California Board of Accountancy For Lots of Unethical Stuff. Except for 2017, the size of each class has grown every year since we started covering partner and principal promotions in 2010: 233 in 2018, 212 in 2017, 226 in 2016 class, 201 in 2015, 180 in 2014, 157 in 2013, 165 in 2012, 136 in 2011, and 83 in 2010. Tel: +1 202 414 4650Email: david.swenson@us.pwc.com Before joining Deloitte, Kim spent 13 years with the IRS Chief Counsel's Office, as international field counsel, associate area counsel, and deputy area counsel for strategic litigation. Email: barry.shott@us.pwc.com He has obtained speedy and favourable results by identifying key issues in the case and resolving them. His responsibilities included major litigation of Eli Lilly and GD Searle cases; creation and development of the world's first advance pricing agreement programme; numerous legislative efforts and Congressional testimony; and representation of the US at various international bodies, such as the OECD. In 2004, Darrin led another ABA task force that provided formal comments on proposed Treasury regulations for transfer pricing of intercompany services. Before his top-level leadership roles Barry served as a financial services industry director of field operations and as the industry director for the financial services industry in New York and in California as the director of the communications, technology and media industry. Ken is recognised year after year for his skills in international taxation. What is James Connolly’s direct phone number? Email: cchinnis@mayerbrown.com International Tax Review recognised Fenwick in its first tier in both its World's Leading Tax Planning Firms and World's Leading Transactional Firms guides in 2014. Cabell Chinnis specialises in audits and appeals, especially in the contentious area of transfer pricing. PricewaterhouseCoopers provides industry-focused assurance, tax and advisory services to its clients and stakeholders. Necessary cookies are absolutely essential for the website to function properly. Pam also held positions with the chief counsel's office of the Internal Revenue Service as special assistant to the chief counsel, attorney-adviser in the legislation and regulations division and trial attorney in San Diego District Counsel. He also assists large multinational clients and high wealth individuals in avoiding and resolving disputes before tax returns are filed, during their examination, and afterwards in the appeals process. View Jim Connolly’s profile on LinkedIn, the world’s largest professional community. Joel joined Mayer Brown in 1986 as a partner. Andrew has significant experience in representing clients with respect to cross-border transactions, corporate restructurings, international joint ventures, transfer pricing, as well as dispute resolution matters. Tel: +1 202 263 3262Fax: +1 202 263 5262 He is a lecturer at Stanford Law School on international taxation. He has litigated more than 60 tax cases. Email: tdurham@mayerbrown.com After his return from Vietnam in 1972, Joel joined the Chief Counsel's Office, US Department of Treasury. Private Company Services Assurance Senior Ass... Pharmaceutical & Life Sciences Leader (US). He has worked in various industries such as pharma/life sciences, financial institutions, energy, automotive, chemicals, electronics, consumer goods, gaming, fashion and luxury products. Website: www.mayerbrown.com. His substantive and procedural tax knowledge combined with his first chair courtroom abilities place him among a small group of experienced tax trial lawyers in high dollar tax disputes. He represents taxpayers before the Internal Revenue Service and various state and local taxing authorities, including contested hearings of State of Illinois and City of Chicago taxes. Ronald Schrotenboer is a partner at Fenwick & West, practising in the area of taxation. He is a founding member of the Deloitte Tax national transfer pricing leadership group. See the complete profile on LinkedIn and discover Jim… Relevant recent industry experience includes controversies in the pharmaceutical and medical device industries, as well as in branded consumer foods, semiconductors, chemicals, automobile parts, and high value services transactions. In addition, he is one of only three economists in the US approved by the New York State Department of Taxation and Finance to provide transfer pricing expertise and testimony in cases involving cross-border transactions within commonly controlled affiliated groups. Which industry does James Connolly work in? Sacramento, CA 95814-2738 Mayer Brown was recently named Tax Controversy Team of the Year in the Legal 500 United States Awards 2014. Chuck held first chair on two of the tax division's most prominent recent cases: Long-Term Capital Holdings v. United States and Trigon Insurance Co. v. United States. During her period at the IRS, Cindy also advised large case agents, international examiners, and appeals officers in some of the largest examinations undertaken by the IRS involving a wide range of complex international and domestic corporate issues. What is James Connolly’s HQ phone number? He has been lauded by clients for his "sophisticated cross-border tax planning, structuring and restructuring for a number of US and non-US multinationals". Darrin is a recent past chairman of the Transfer Pricing Committee of the American Bar Association (ABA) Tax Section. Katy is the author of Survive Your Promotion! Including his time in government practice, Darrin has been substantively involved in more than 100 APA requests involving a variety of different countries and industries, including telecommunications and insurance. Website: pwc.com/taxcontroversy. Informa PLC is registered in England and Wales with company number 8860726 whose registered and head office is. The principal focus of Kenneth's practice is complex federal tax litigation and tax controversy work. Membership Options | One Week Trial, This content is from: As the deputy commissioner he was responsible for all matters of international taxation for the IRS and served as the adviser to the commissioner of internal revenue on all international tax administration matters and bilateral relationships with treaty and information exchange (TIEA) partners. Website: www.deloitte.com. Interop is part of the Informa Tech Division of Informa PLC. Jim and his firm have served as counsel in well over 100 large-corporate IRS appeals proceedings and more than 70 federal tax court cases. He has been cited in leading professional publications, including the International Tax Review's Guide to the World's Leading Tax Advisers'; 'The Best of the Best', 'The World's Leading Transfer Pricing Lawyers'; and 'The World's Leading Transfer Pricing Advisers', (in 2000, receiving the most votes among nominees for this mention). Marc previously served as tax attorney with the international tax ruling group of the National Office of the Internal Revenue Service (IRS) from 1975 to 1977. In addition, Joel has litigated IRC § 338 corporate acquisition related issues, like debt-versus-equity involving Nestlé's acquisition of Carnation, Nestlé. Email: ctriplett@mayerbrown.com Pam received her BA, MBA, and JD from the University of Minnesota. He routinely advises clients on various tax issues during tax examinations, in administrative appeals and as an advocate in trial and appellate litigation before the US Tax Court, US district courts and US Court of Federal Claims. John has extensive experience defending against civil and criminal tax penalties and in addressing evidentiary privileges in the tax controversy context, including the attorney client privilege and work product protection in the modern business environment in light of IRS policies concerning tax accrual work papers and FASB Interpretation (FIN) No 48. Scott has extensive experience with deductibility of interest expense in related-party transactions, including debt-versus-equity characterisation and sham transaction and economic substance issues, dating back to his involvement in the landmark Nestlé Holdings case during the 1990s. David also participated in several landmark tax cases before the US Supreme Court, including the Barclays Bank, Boeing, and Goodyear cases. Website: www.mayerbrown.com. Joel is proud to have been recognised by Chambers USA as a 'leading lawyer' in each of the years 2003 to 2014. Email: rschrotenboer@fenwick.com Marc Levey is a partner in the New York office of Baker & McKenzie. US, Tel: +1 312 298 6084Email: greg.barton@us.pwc.com Website: www.bakermckenzie.com. He is also a co-author of the 2014 Practising Law Institute's (PLI) Transfer Pricing Answer Book and a member of both the Bloomberg BNA Transfer Pricing Advisory board and the Tax Management International Journal's Panel of Leading International Tax Practitioners. Before joining PwC, Ward was a partner at Fenwick & West. While at Treasury from 2004-2013, his responsibilities included negotiating tax treaties and trade agreements, drafting regulatory guidance, and advising on legislative matters.

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