Ranked in 1 Practice Areas
5

Band 5

Tax

District of Columbia

4 Years Ranked

About

Provided by Christine Sloan

USA

Practice Areas

Christine Sloan focuses on domestic and international tax matters. Her experience includes advising clients on a broad spectrum of domestic and international tax issues facing companies engaged in complex mergers, acquisitions, dispositions and reorganizations, including post-acquisition and pre-disposition restructurings. In addition, she routinely advises on supply chain, repatriation and foreign tax credit planning. Christine Sloan also assists clients in securing IRS private letter rulings, IRS pre-filing agreements and IRS closing agreements.

Professional Memberships

Ms. Sloan currently serves, or has previously served, in the following positions:

American College of Tax Counsel (College is composed of Fellows chosen by their peers in recognition of their outstanding reputations and contributions in the field of tax law)

John S. Nolan Fellow (Fellowship awarded to top five young tax lawyers in ABA Tax Section)

ABA Tax Section Nominating, Corporations, Partnerships and LLC, Committee Member

ABA Tax Section Former Council Director  ABA Tax Section Hurricane Katrina Task Force, Member

ABA Tax Section Officer, Former Secretary and Former Assistant Secretary

ABA Tax Section Young Lawyers Forum, Former Chair and Former Vice Chair

ABA Commission on Women in the Profession, Former ABA Tax Section Representative

Tannenwald Foundation, Former Board Member

Publications

Federal Income Taxation of Corporations Filing Consolidated Returns (2016 to present)

Journal of Corporate Taxation, IRS Addresses Controversial Option deduction Issue in GLAM 2012-010 (2013)

Lewis & Clark Law Review, Come Hell and High Water: Can the Tax Code Solve the Post-Katrina Insurance Crisis? (2007)

Journal of Passthrough Entities, RECENT DEVELOPMENTS AND OBSERVATIONS (May 2004-2008)

Journal of Passthrough Entities, Allocating Foreign Taxes Under Subchapter K (2004)

Journal of Passthrough Entities, Circular 230: The Latest Weapon of Mass Destruction in the War on Tax Shelters (2004)

Tax Notes International, Overpriced Bananas, Bad Meat, or Foreign Sales Corporations: What is the EU Really Complaining About? (2000)

University of Miami Law Review, The Deemed Transfer of Recourse Liabilities Leads to Owen Taxes: What is Wrong With Form Over Substance? (1998)

University of Miami Inter-American Law Review, Expatriation, Double Taxation and Treaty Override: Who is Eating Crow Now? (1997)

International Law Quarterly, The Proposed Expatriation Tax and Treaty Override (1997)

Languages Spoken

English

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