REPRESENTATIVE EXPERIENCE Carol’s extensive representative experience includes:
- Working with U.S. multi-national corporations on cross-border business restructurings.
- Serving as technical adviser in litigation regarding foreign tax credit generator issues.
- Working with foreign multi-national corporations on U.S. acquisitions.
- Working with foreign multi-national corporations on permanent establishment/U.S. trade or business issues.
- Working with foreign governments concerning U.S. investments, including U.S. real property.
- Working with foreign governments concerning U.S. tax issues of their employees and successfully representing them before the IRS on these and other related matters.
PROFESSIONAL HONORS AND AWARDS
- Recognized in The Guide to World’s Leading Tax Advisers (2011)
- Elected as a Fellow of the American College of Tax Counsel (2011)
PROFESSIONAL AND COMMUNITY INVOLVEMENT
- Chair, Section of Taxation FAUST Committee, American Bar Association
- D.C. Regional Vice President, USA Branch of the International Fiscal Association (IFA)
- Fellow, American Bar Foundation
- Member, Task Force on International Tax Reform, Tax Section, American Bar Association (which published its report in The Tax Lawyer in 2006)
RECENT PUBLICATIONS
- Co-author, “Tax Evasion – American Fisc Controls German Banks,“ Frankfurter Allgemeine Zeitung (April 17, 2012)
- Co-author, “Proposed FATCA Regulations Provide Much Relief though Administrative and Financial Burdens Still Remain,” IBDF Bulletin for International Taxation (April 2012)
- Co-author, “Getting Specific: IRS Issues Guidance on Withholding for Specified Notional Principal Contracts Under Section 871(M), Delays Statutory Effective Date,” TerraLex Connections (March 9, 2012)
- Co-author, “Getting Specific: IRS Issues Guidance on Withholding for Specified Notional Principal Contracts Under Section 871(m), Delays Statutory Effective Date,” Bloomberg BNA (March 2, 2012)
- Co-author, “LB&I Internal Directive Limits Application of the Economic Substance Doctrine and Related Penalties, But Raises Concerns About Transparency and Consistency of Process,” Tax Management (September 2011)
- Co-author, “Economic Substance Directive: Some Substance, Many Questions,” State Tax Notes (August 22, 2011)
- Co-author, “It’s Just a Phase: The “Phased Implementation” of FATCA Under Notice 2011-53,” TerraLex Connections (August 1, 2011)
- Author, “Dealing with Codified Economic Substance in the Context of International Issues: Self-Help, the Only Game in Town,” The Tax Executive (May 2011)
- Co-author, "The FBAR Reset: Final Regulations Provide Mixed Guidance," Tax Notes (April 25, 2011)
- Author, “U.S. Response to Unreported Offshore Income and Assets of U.S. Taxpayers,” International Taxation India (February 2011)
- Author, “Summer’s Last Gasp: Notice 2010-60—Preliminary Guidance Under FATCA,” 39 Tax Management International Journal 12, Bureau of National Affairs (BNA) Tax Management (December 2010)
- Author, “U.S. Withholding and Reporting Regimes – One Old, One New," International Taxation (October 2010)
- Co-author, “Foreign Tax Credit,” International Taxation (September 2010)
- Author, Payments Directed Outside the United States – Withholding and Reporting Provisions Under Chapters 3 and 4, BNA TMP 915-3d (2010)
- Author, “Reporting, Withholding, and More Reporting: HIRE Act Reporting and Withholding Provisions,” Tax Management International Journal (May 14, 2010)
- Co-author, “New PFIC Guidance Provided: But More Remains to Be Done,” Tax Management International Journal (December 11, 2009)
- Co-author, “Increased Audit Activity Planned for U.S. Federal Excise Tax on Insurance Premiums,” Tax Notes International, Vol. 54, No. 6 (May 11, 2009)
- Co-author, “New Switzerland-U.S. Tax Treaty Likely to Contain Key Enhancements,” Tax Notes International, Vol. 54, No. 4 (April 27, 2009)
- Co-author, “IRS Listens to Taxpayers and Limits Taxation of Patent Cross Licenses,” Practical US/International Tax Strategies (March 15, 2007)
- Author, “U.S. Foreign Tax Credits for Foreign Persons Under Section 906—What is the Effect of Section 865(e)(2),” 31 Tax Management International Journal 304 (June 2002)
- Author, “Inversion Transactions: New Style Transactions Raise New Policy Issues,” 432 Tax Management Memorandum (June 3, 2002)
- Author, “The Upside Down World of Corporate Inversion Transactions,” 30 Tax Management International Journal 161 (April 2001)
- Author, “Financial Products Anti-Abuse Provisions in the New U.S. Income Tax Treaties Rejected by U.S. Senate,” 2 Derivatives and Financial Instruments 123 (March/April 2000)
SPEAKING ENGAGEMENTS
- Speaker, “Strategies to Identify U.S. Accounts in Compliance with the IRS and Treasury Guidance,” The Canadian Institute: 2012 FATCA Conference (May 30, 2012)
- Speaker, "Challenging Aggressive Tax Planning Domestically: The Impact of Tax Treaties on Source State Options,” 12th Annual Tax Planning Strategies: U.S. and Europe Conference (March 30, 2012)
- Speaker, BNA Bloomberg Webinar: Banking and the Impact of the New FATCA Proposed Regulations (March 12, 2012)
- Speaker, BNA Bloomberg Webinar: Investment Funds and the New FATCA Proposed Regulations (March 9, 2012)
- Speaker, BNA Bloomberg Webinar: Trusts and the Impact of the New FATCA Proposed Regulations (March 7, 2012)
- Speaker, International Fiscal Association 2012 Annual Conference ( March 1-2, 2012)
- Speaker, BNA Bloomberg Webinar: Insurance and the Impact of the New FATCA Proposed Regulations (February 28, 2012)
- Speaker, BNA Bloomberg Webinar: Navigating the New FATCA Proposed Regulations – What You Need To Know (February 15, 2012)
- Panelist, “Foreign Tax Credit,” Internal Revenue Service/George Washington University Conference (December 15, 2011)
- Speaker, Inbound Issues Roundtable (December 13, 2011)
- Speaker, “FACTA,” Philadelphia Tax Conference (November 17, 2011)
- Speaker, “FATCA Issues for U.S. Companies” and “FBAR Issues for U.S. Companies and Employees,” TEI Annual Meeting (November 1, 2011)
- Speaker, “FATCA - How Will Your Company Be Impacted?,” Chicago Tax Club (October 27, 2011)
- Speaker, “Thinking About FATCA Implementation and FBAR Filing Requirements and Issues,” Tulsa TEI Chapter Meeting (October 18, 2011)
- Speaker, “Latest and Greatest in the Federal Tax Arena,” TEI New York Chapter Meeting (September 27, 2011)
- Speaker, “The Foreign Account Tax Compliance Act and Its Implementation,” IFA/CIOT/US/UK Joint Meeting (September 9, 2011)
- Speaker, The Knowledge Center Webinar: “2011 Foreign Account Tax Compliance Act” (July 22, 2011)
- Speaker, Webinar: Notice 2011-34: More FATCA GuidanceHow It Will Affect You (June 29, 2011)
- Speaker, “Current Issues in International Taxation,” TEI Houston Meeting (June 16, 2011)
- Speaker, The Knowledge Center 2011 Foreign Account Tax Compliance Act Live Webcast (June 10, 2011)
- Speaker, Webinar: Notice 2011-34: More FATCA GuidanceHow It Will Affect You (May 3, 2011)
- Co-chair, “Tax Treaty Abuse or Good Planning: Navigating GAARS, SAARS, and Other Anti-Treaty Shopping Rules,” 11th Annual Tax Planning Strategies – U.S. and Europe Conference (April 14–15, 2011)
- Speaker, Webinar: Codified Economic Substance Doctrine: You'll Know It When You See it? A Guide to Navigating The New Economic Substance World (March 30, 2011)
- Speaker, “Addressing Codified Economic Substance in the International Realm – New Restrictions or Not?“ TEI New York Chapter 47th Annual Tax Symposium (December 8, 2010)
- Speaker, “Recent FATCA Guidance: Notice 2010-60,” IFA USA Branch New England Region Thirteenth Annual Fall Conference (November 18, 2010)
- Speaker, “Revenue Provisions in H.R. 1586,” IFA USA Branch District of Columbia Region Afternoon Mini-Seminar and Social Hour (October 7, 2010)
- Speaker, The Knowledge Group, LLC Webinar: “The New FATCA Regulatory Guidance: Understanding Its Scope and How It Applies,” (September 28, 2010)
- Speaker, “State and Local Tax Considerations for Foreign-Owned Entities,” TEI’s Atlanta Chapter Meeting (June 7, 2010)
- Co-chair, “The Global Assault on Banks and Financial Managers,” Tax Planning Strategies – U.S. and Europe (June 3–4, 2010)
- Speaker, “Tax Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures, and Other Strategic Alliances 2010,” Practising Law Institute (PLI) CLE Program, Chicago (May 12–14, 2010)
- Speaker, “Navigating Complex Tax Features of Foreign Investments Absent Clear IRS Guidance,” Stafford Webinar: Passive Foreign Investment Company Tax Regulation (April 8, 2010)
- Speaker, The Knowledge Group, LLC Webinar: “Understanding the IRS New Contract Manufacturing Rules” (February 23, 2010)
- Speaker, “What You Should Be Thinking About Concerning Foreign Tax Credit Developments,” TEI New York Chapter's 46th Annual Tax Symposium (December 10, 2009)
- Speaker, “Understanding the New Qualified Intermediary Program for Foreign Financial Institutions: Issues Under the Current Regulations,” Webinar: Understanding the New Qualified Intermediary (QI) Program for Foreign Financial Institutions (August 25, 2009)
- Speaker, Webinar: Understanding the New Qualified Intermediary (QI) Program for Foreign Financial Institutions (June 17, 2009)
- Speaker, “Tax Planning for Domestic & Foreign Partnerships, LLC’s, Joint Ventures and Other Strategic Alliances,” PLI, Chicago (May 15, 2009)
- Speaker, “Structure, Set Up and Roll Out of Multinational Carried Interest and Management Investment Schemes,” International Law Section, American Bar Association (April 15, 2009)
- Speaker, “Corporate Migration: Holding & Financing Regimes,” The 9th Annual Tax Planning Strategies Conference (April 2–3, 2009)
- Panel Co-chair, The 8th Annual Tax Planning Strategies Conference (April 3-4, 2008)
- Panel Co-chair, The 7th Annual Tax Planning Strategies Conference (April 19-20, 2007)
- Speaker, “U.S. Tax Treaties,” 37th Annual Conference of the USA Branch of the IFA (February 26, 2009)
- Speaker, “International Topics,” 8th Annual Conference, Tax Executives Institute (TEI)-LMSB Financial Services Industry (October 28–29, 2008)
- Speaker, “Section 901 Regulations,” TEI New Jersey Chapter (November 17, 2006)
- Speaker, “Recent Regulatory Guidance,” TEI Mid-Year Meeting (April 3–6, 2005)