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 | H. David RosenbloomMember Mr. Rosenbloom is an partner at Caplin & Drysdale. His major areas of practice include international tax planning and controversies, including transfer pricing and advance pricing agreements, the foreign tax credit and subpart F, tax treaty issues and competent authority proceedings, financial products and financial institutions, taxation of all forms of inbound investment, and individual tax compliance in a cross-border context.
Caplin & Drysdale, Chartered One Thomas Circle, N.W., Suite 1100 Washington, District of Columbia
20005
Telephone: 202-862-5000 Fax: 202-429-3301 http://www.capdale.com/drosenbloom
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| Practice Areas | Federal Tax; International Tax ; Tax Controversies; Tax Litigation | | | Education | Harvard University, J.D., magna cum laude, 1966, Princeton University, A.B., summa cum laude, 1962; University of Florence | | | Admitted | 1967, New York; 1968, District of Columbia and U.S. Supreme Court | |
| Memberships | International Fiscal Association. | | | Languages | French and Italian | | | Born | New York, N.Y., May 26, 1941 | | | Biography | Fulbright Scholar, 1963. President, Harvard Law Review, 1966. Lecturer: Harvard Law School, 1984-1987, 1990-1993, 1995-1996, 1999; Stanford Law School, 1988; Columbia Law School, 1997; University of Pennsylvania Law School, 1998; New York University Law School, 2000—; Public Finance Training Institute, Taipei; Instituto Tecnologico Autonomo de Mexico, Mexico City. University of Sydney; Universitá Commerciale Luigi Bocconi, Milan; Southern Africa Tax Institute, University of Pretoria. Special Assistant to Arthur J. Goldberg, U.S. Ambassador to United Nations, 1966-1967. Law Clerk to the Honorable Abe Fortas, U.S. Supreme Court, 1967-1968. International Tax Counsel and Director, Office of International Tax Affairs, U.S. Treasury Department, 1978-1981. Director, International Tax Program, New York University Law School, 2002—. | | | ISLN | 902010459 | |
Documents by this lawyer on Martindale.com
Time for a Change: Toward a New Korea-U.S. Income Tax TreatyH. David Rosenbloom, Lucy S. Lee, July 14, 2009, previously published by Tax Notes International on April 20, 2009 The current income tax treaty between the U.S. and Korea has to be modified as it fails to address the current economic requirements of the two countries. There has been continuing discussions regarding possible negotiations for a new treaty. In anticipation of those negotiations, this article... |
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