Amanda Varma
Amanda Varma advises clients on US federal income tax matters, with particular focus on international tax planning and controversies.
Her practice includes counseling domestic and foreign businesses with respect to cross-border acquisitions, business restructurings, and financings, tax treaty matters, deferral and foreign tax credit issues, transfer pricing, and withholding and reporting issues.
She also regularly advises clients on special issues arising in international tax controversies, including competent authority and information exchange. Ms. Varma also represents clients in connection with regulatory and legislative tax policy matters.
Latest posts by Amanda Varma (see all)
- The final and proposed BEAT regulations: what changed, what’s new, and what’s next? - December 11, 2019
- US court invalidates “serial inversion” tax regulation that ended Pfizer-Allergen merger - October 10, 2017
- Key takeaways from the proposed foreign tax credit regulations - December 19, 2018
- Five highlights from the IRS’s proposed GILTI regulations - October 1, 2018
- US and Ireland commence tax treaty renegotiation: what could change - August 31, 2016
Monte Jackel
Latest posts by Monte Jackel (see all)
- US Tax Court decision in Grecian Magnesite could upend international tax regime for partnerships - July 18, 2017
- Trump’s tax regulation order: what (besides earnings stripping) could be on the chopping block? - April 24, 2017
- US Tax Court decision has big implications for non-US partners in US partnerships - July 16, 2017
- Why the House GOP’s destination-based cash flow tax doesn’t work for partnerships - March 13, 2017
- IRS tax regulations and the 1 for 2 Trump executive order - March 1, 2017
Ednaldo Silva
Dr. Ednaldo Silva is Founder & Director of RoyaltyStat, a leading online database of royalty rates extracted from unredacted license agreements filed with the SEC.
He is an economist with over 25 years of experience in transfer pricing innovation and the valuation of intangibles.
Dr. Silva helped draft the US transfer pricing regulations as Senior Economic Adviser in the IRS Office of Chief Counsel. He was the originator and developer of the “comparable profits method” and introduced the best method rule and the concept that arm’s length is represented by a range of results. Dr. Silva was also the first economist in the IRS's Advance Pricing Agreement (APA) Program.
Latest posts by Ednaldo Silva (see all)
- US Tax Court decision in Coca-Cola is at odds with economic principles - March 3, 2021
- Transfer pricing and the cumulative advertising effects on sales - January 20, 2021
- The origins of transfer pricing’s comparable profits method - January 6, 2021
- Transactional profit indicators for the TNMM are not viable - December 9, 2020
- A proposed transfer pricing safe harbor for US retailers - November 24, 2020
Julie Martin
Julie Martin is the founder of MNE Tax. She edits the publication and regularly contributes articles on new developments in cross-border business taxation.
Julie has worked as a tax journalist and editor for more than 13 years. Prior to that, she worked as an in-house tax attorney in New York. She also holds an LLM in taxation from New York University School of Law.
Julie can be reached at [email protected].
Latest posts by Julie Martin (see all)
- UN committee considers updates to model tax treaty, developing nation tax guidance - April 21, 2021
- UN Committee of Experts approves new digital tax article for model treaty - April 20, 2021
- Leaked copy of US proposal for Pillar One and Two multinational group tax reforms available - April 12, 2021
- US offers new “Pillar One” compromise plan for taxing large multinationals - April 8, 2021
- UN tax committee releases updated model treaty language on automated digital services - April 7, 2021
Jennifer Crawford
Jennifer Crawford is a Director in True Partners Consulting’s Tampa office and is part of the national Tax Process and Control Advisory Services team.
Jennifer helps clients improve their tax functions by evaluating current processes, determining best practices and implementing effective control procedures.
Jennifer received her Bachelors of Science degree in Accountancy from the University of Illinois at Urbana-Champaign.
Latest posts by Jennifer Crawford (see all)
- The final debt-equity regulations: planning to comply - November 3, 2016
Robert M. Gordon
Robert M. Gordon specializes in the taxation of complex domestic and international transactions, M&A, joint ventures, and general federal tax planning. Mr. Gordon frequently speaks to professional and business organizations and is active in the American Bar Association‘s Tax Section.
He received his bachelor’s degree with honors from the University of Illinois at Chicago and his J.D. from Northwestern University School of Law, where he served on the editorial board of the Law Review.
[email protected]225 West Wacker Drive, Suite 1600
Chicago, IL 60606
Latest posts by Robert M. Gordon (see all)
- The final debt-equity regulations: planning to comply - November 3, 2016
Office: 312-235-3321
Mobile: 312-952-1183
[email protected]
Chicago (Headquarters)
225 West Wacker Drive, Suite 1600
Chicago, IL 60606
Margaret Kent
Latest posts by Margaret Kent (see all)
- CIAT releases detailed proposals aimed at stopping transfer pricing abuse - July 17, 2019
- CIAT transfer pricing audit guide to aid member countries’ tax administrations - August 22, 2018
- CIAT preparing “sixth method” transfer pricing database - April 9, 2019
- CIAT-SECO partnership strengthens Latin American and Caribbean tax administrations - April 3, 2019
- The new OECD/G20 guidance aligning transfer pricing outcomes with value creation: upending international contract law - May 4, 2017
Mansi Seth
Latest posts by Mansi Seth (see all)
- India clarifies indirect transfer tax for foreign private equity, venture capital funds - November 14, 2017
- India adopts controversial tax rules for valuing indirect transfers of assets - August 1, 2016
- India further clarifies “POEM” rule for foreign corporation tax residence - November 2, 2017
- India: multinationals faced shifting tax landscape in 2017 - January 2, 2018
- Payments by Google India were royalties subject to withholding tax, tribunal rules - October 30, 2017
Anandapadmanabhan Unnikrishnan
Latest posts by Anandapadmanabhan Unnikrishnan (see all)
Nancy Manzano
Latest posts by Nancy Manzano (see all)
Michael Bernard
Latest posts by Michael Bernard (see all)
Friedemann Thomma
Latest posts by Friedemann Thomma (see all)
Lauren Keller
Latest posts by Lauren Keller (see all)
Robert Feinschreiber
Latest posts by Robert Feinschreiber (see all)
- CIAT releases detailed proposals aimed at stopping transfer pricing abuse - July 17, 2019
- CIAT transfer pricing audit guide to aid member countries’ tax administrations - August 22, 2018
- CIAT preparing “sixth method” transfer pricing database - April 9, 2019
- CIAT-SECO partnership strengthens Latin American and Caribbean tax administrations - April 3, 2019
- The new OECD/G20 guidance aligning transfer pricing outcomes with value creation: upending international contract law - May 4, 2017
Sam Olchyk
Latest posts by Sam Olchyk (see all)
- US professors advocate international tax reform before Senate Finance panel - October 5, 2017
- US lawmakers stake out position on border adjustment tax - May 25, 2017