Consulting: day-to-day advice on technical international tax matters, such as foreign tax credits, Subpart F, passive foreign investment companies (PFICs), sourcing, foreign currency and Section 367
Transactional advice: covering the tax aspects of structuring and financing acquisitions or the tax restructuring of existing businesses
Transfer pricing: advice on tax transfer price matters, including transfer pricing for tangible and intangible property, cost sharing agreements and documentary compliance requirements
James is a sought-after commentator and lecturer on international tax issues. Prior to entering private practice, he was a lawyer with the Tax Division, Appellate Section, of the US Department of Justice.
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