H. David Rosenbloom

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Attorney Awards

Biography

H. David Rosenbloom is a Member in Caplin & Drysdale's Washington, D.C., office. He rejoined the firm in 1981 after serving as International Tax Counsel and Director of the Office of International Tax Affairs in the US Treasury Department from 1977 to 1981. Mr. Rosenbloom has been recognized as a Senior Statesmen by Chambers USA since 2014 and listed among Leading Lawyers by The Legal 500 for his work with clients in International Tax and Tax Controversies.

Services

Mr. Rosenbloom's 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.

Government Experience

International Tax Counsel and Director, Office of International Tax Affairs, U.S. Department of Treasury, 1978-1981

Law Clerk, Honorable Abe Fortas, U.S. Supreme Court, 1967-1968

Assistant, Honorable Arthur Goldberg; U.S. Mission to the United Nations, 1966-1967

Highlights

Mr. Rosenbloom has served as a Tax Policy Advisor for the US Treasury, the OECD, US AID, the International Monetary Fund, and the World Bank in Eastern Europe and the Baltic countries, the former Soviet Union, Senegal, Malawi, and South Africa. He has consulted with and advised foreign governments and international organizations on international tax matters, and served as an expert witness in international tax disputes in the United States, Canada, New Zealand, Norway, and Australia.

He has also written extensively on international and comparative tax topics. His most recent writings discuss the intersection of U.S. tax reform, U.S. tax treaty policy, and the OECD Project on Base Erosion and Profit Shifting.

Mr. Rosenbloom is fluent in French and Italian and has fundamental knowledge of Spanish.

Awards & Rankings

Chambers USA, 2008-2013; Senior Statesmen, 2014-Present
Chambers Global, 2009-2012; Senior Statesmen, 2016-Present
The Legal 500, Hall of Fame, 2018; Recommended, 2010-2014, 2017-Present; Leading Lawyer, 2013-Present
The Legal 500, Top-Tier Firm, Tax - US Taxes - Contentious, 2010, 2015-Present
The Legal 500, International Tax Team of the Year, 2014-2015
Best Lawyers in America, 1989-Present
Expert Guides' The Best of the Best, 2009, 2011-2013, 2015
Expert Guides' World's Leading Tax Advisers, 2012, 2014
Super Lawyers, Washington, D.C., 2008-Present
The Washingtonian, Top Lawyers in D.C., 2009, 2011-2012, and 2015
Martindale-Hubbell AV Preeminent

Recent Publications

• Proposed Regulations Under Section 956, with Jonathan S. Brenner and Josiah Child, Caplin & Drysdale Client Alert, November 6, 2018
• COMMENTARY & ANALYSIS: The BEAT and the Treaties, with Fadi Shaheen, Tax Notes International Magazine, October 15, 2018
• Kumquat: The U.S. International Tax Issues, Tax Notes International Magazine, June 25, 2018
• GILTI Pleasures, with Elizabeth J. Stevens, Tax Notes International Magazine, February 12, 2018
• U.S. Plays Lone Ranger on International Tax to Its Detriment, with Peter A. Barnes, The Hill Op-Ed, January 19, 2018
• International Aspects of U.S. 'Tax Reform' -- Is This Really Where We Want to Go?, International Tax Report, January 2, 2018
• David Rosenbloom Comments on Tax Bills' Impact on Earnings of U.S.-Owned Foreign Corporations, The Washington Post Op-Ed, December 3, 2017
• Paradise Papers: U.S. Citizens and Residents Required to Report on Offshore Assets, with Mark D. Allison, J. Clark Armitage, Peter A. Barnes, and Arielle M. Borsos, Caplin & Drysdale Client Alert, November 6, 2017
• Low-Tax Texas Should Pay Its Fair Share of Harvey Costs, with Peter A. Barnes, The Washington Post Op-Ed, September 6, 2017
• Foreword for Asian Voices: BEPS and Beyond, International Bureau of Fiscal Documentation (IBFD), July 1, 2017
• U.S. Corporate Tax Reform and Wallace Stevens, with Peter A. Barnes, Tax Notes, May 30, 2017
• The Destination-Based Cash Flow Tax Is a VAT?, with Peter A. Barnes, Tax Notes, March 29, 2017
• U.S. Corporate Tax Reform and Jean-Paul Sartre, with Peter A. Barnes, Tax Notes, March 1, 2017
• The U.S. Must Avoid This Untested Approach To International Taxes, with Peter A. Barnes, The Hill Op-Ed, January 24, 2017
• The U.S. Country-by-Country Reporting Regulations: A Synopsis, Global Taxation, October 1, 2016
• Treasury Announces Regulations to Address Use of U.S. LLCs to Disguise Beneficial Ownership, with Scott D. Michel, Michael G. Pfeifer, Kirsten Burmester, and J. Clark Armitage, Caplin & Drysdale Client Alert, April 5, 2016
• The Ethical Limits of Tax Planning, with Peter A. Barnes and J. Clark Armitage, Trusts and Trustees, January 6, 2016
• Derivative Benefits and Equivalent Beneficiaries - What Are We Talking About? Part II, International Tax Report, December 10, 2015
• Derivative Benefits and Equivalent Beneficiaries - What Are We Talking About? Part I, International Tax Report, November 5, 2015
• Response to Final OECD BEPS Tome, with Peter A. Barnes, J. Clark Armitage, and Patricia Gimbel Lewis, International Law Office, October 30, 2015
• The Final OECD BEPS Tome Has Arrived, with Patricia Gimbel Lewis, J. Clark Armitage, Peter A. Barnes, and Neal M. Kochman, Caplin & Drysdale Client Alert, October 8, 2015
• Transfer Pricing Audits: Flipping the Tested Party, with Peter A. Barnes and J. Clark Armitage, International Law Office, August 28, 2015
• Transfer Pricing Audits: Flipping the Tested Party, with Peter A. Barnes, J. Clark Armitage, Neal M. Kochman, and Patricia Gimbel Lewis, Wolters Kluwer, August 27, 2015
• IRS Releases Guidelines for Examining CFC Transactions, with J. Clark Armitage and Peter A. Barnes, International Law Office, August 21, 2015
• Transfer Pricing Audits: Flipping the Tested Party, with Peter A. Barnes, J. Clark Armitage, Neal M. Kochman, and Mark D. Allison, Caplin & Drysdale Client Alert, August 13, 2015
• IRS Releases Guidelines for Examining CFC Transactions, with Peter A. Barnes, J. Clark Armitage, Neal M. Kochman, and Mark D. Allison, Caplin & Drysdale Client Alert, July 29, 2015
• The Intersection of U.S. Tax Treaty Policy, Tax Reform, and BEPS, International Law Office, July 24, 2015
• Treasury Proposes Significant Changes to Model Tax Treaty, with J. Clark Armitage, Peter A. Barnes, and Neal M. Kochman, International Law Office, June 12, 2015
• Treasury Proposes Significant Changes to U.S. Model Tax Treaty, with J. Clark Armitage, Peter A. Barnes, Neal M. Kochman, and Patricia Gimbel Lewis, Caplin & Drysdale Client Alert, May 26, 2015
• Reflections on the Intersection of U.S. Tax Treaty Policy, U.S. Tax Reform, and BEPS, Tax Notes International, May 25, 2015
• Will the Rush to Invert Spur Corporate Tax Reform? A Conversation, Tax Notes International, December 15, 2014
• Surprise! Your Foreign Tax Credit Is Not Allowed Under Section 901(I), with Sae Jin Yoon, Tax Notes International, January 14, 2014
• Professional Golfer Sergio Garcia to Owe More Taxes on Endorsement Income, with Mark D. Allison and Michael G. Pfeifer, Caplin & Drysdale Client Alert, March 15, 2013
• Article from Tax Analysts, Switzerland and the U.S.: What We Have Here is a Failure to Communicate, Tax Analysts, by H. David Rosenbloom, June 4, 2012
• FATCA & Foreign Bank Accounts: Has the U.S. Overreacted?, with Scott D. Michel, Tax Analysts, May 31, 2011
• IRS Seeks Names of U.S. Account Holders at HSBC (India), with Scott D. Michel, Taxmann-The Tax & Corporate laws of India-International Tax, April 18, 2011
• Indictment of Offshore Account Holder Portends a New Round of Aggressive Enforcement, with Scott D. Michel, International Taxation, February 1, 2011
• The Foreign Account Tax Compliance Act and Notice 2010-60, International Taxation, December 1, 2010
• More and More Transfer Pricing Enforcement in Store!, with Patricia Gimbel Lewis and Neal M. Kochman, Caplin & Drysdale Client Alert, August 6, 2010
• The Foreign Account Tax Compliance Act, May 11, 2010
• IRS Launches New Transfer Pricing Practice -- Pilot Program Will Select Audit Cases for Scrutiny, with Patricia Gimbel Lewis and Neal M. Kochman, Caplin & Drysdale Client Alert, May 5, 2010
• The New U.S.-Italy Treaty: A U.S. Perspective, with Kirsten Burmester, Diritto e Pratica Tributaria Internazionale, August 1, 2009
• Resolucion de Conflictos en Material Fiscal (in Spanish), Revista - Instituto Colombiano de Derecho Tributario, May 10, 2009
• Time for a Change: Toward a New Korea-U.S. Income Tax Treaty, Tax Notes International, April 20, 2009
• From Arbitration to Zero Withholding: A Primer on the U.S.-Canada Treaty Protocol, Tax Notes International, August 20, 2008
• Deductions for Non-U.S. Persons Under U.S. Income Tax Laws, with Kirsten Burmester, International Tax Planning, March 1, 2008
• Self-Created Transfer Pricing Adjustments, Tax Notes International, June 4, 2007
• Tax Alert, with Neal M. Kochman, Caplin & Drysdale, June 15, 2005
• TNI Interview: H. David Rosenbloom, Tax Notes International, May 10, 2004
• Banes of an Income Tax: Legal Fictions, Elections, Hypothetical Determinations, Related Party Debt*, The Sydney Law Review, March 30, 2004
• Think About Subpart F: The Domestic Base Company, The Tax Magazine, March 15, 2004
• Banes of an Income Tax: Legal Fictions, Elections, Hypothetical Determinations, And Related Party Debt, Tax Notes International, December 31, 2003
• Why Not Des Moines? A Fresh Entry in the Subpart F Debate, Tax Notes International, December 15, 2003
• Testimony of David Rosenbloom Before the U.S. Senate Committee on Finance, Committee on Finance, United States Senate, July 15, 2003
• Deconstructing Section 905(c): An Examination of The Redetermination Rules After TRA 1997, with Neal M. Kochman, Tax Notes International, April 1, 2002
• Taxes Covered By 960(a)(3), Tax Management International Journal, February 8, 2002
• From the Bottom Up: Taxing the Income of Foreign Controlled Corporations, Brooklyn Journal of International Law, September 1, 2001
• Arbitrage and Transfer Pricing Paper, Report of Proceedings of the First World Tax Conference: Taxes Without Borders, October 1, 2000
• U.S. Proposed Global Trading Regs: Preliminary Questions Regarding Application, Tax Notes International, May 23, 1998
• Commentary: Caplin & Drysdale Blasts Proposed Foreign Tax Credit Regs, Tax Notes International, May 5, 1997

Recent Speaking Engagements

•Panelist, Recent International Tax Developments Under TCJA - Section 965, GILTI and BEAT, Committee of Banking Institutions on Taxation (CBIT), 49th Annual Fall Tax Day, October 25, 2018
•Speaker, The Tax Cuts and Jobs Act - Navigating the Sea Change of U.S. International Tax, 18th Annual NYU/KPMG Tax Symposium, April 25, 2018
•Speaker, Brave New World of International Taxation: GILTI, BEAT, and Section 965, 33rd Annual Spring Tax Day of the Committee of Banking Institutions on Taxation, April 23, 2018
•Speaker, U.S. Tax Reform, Confindustria Vicenza, January 12, 2018
•Speaker, U.S. Tax Reform, University of Padova, Master in International Finance and Commerce, January 12, 2018
•Presenter, 2017 U.S. Tax Reform - Main Points and Novelties for Italian Companies Looking to the United States, Confindustria Emilia, January 11, 2018
•Moderator, Brexit and its Tax and Related Impacts on U.S. Multinationals, American Bar Association, Section of Taxation, 2017 May Meeting, May 12, 2017
•Panelist, Debate: What Does Fairness Mean and What Role Should it Play in International Tax Policy?, GWU-IRS 29th Annual Institute on Current Issues in International Taxation, December 16, 2016
•Speaker, Taxes: Improving the global framework, German Federal Ministry of Finance, CEPS, November 30, 2016
•Panelist, Fundamental Tax Aspects of the State Aid Controversy, International Tax Institute, November 17, 2016
•Panelist, The New International Tax Landscape: Should U.S. Multinationals Be Worried?, KPMG: After the Election: Tax Overhaul for 2017, November 15, 2016
•Lecturer, O Brave New World - The Looming Rethink of International Taxation in the United States, Klaus Vogal Lecture, September 23, 2016
•Speaker, NYU/KPMG Tax Lecture, New York University School of Law, KPMG, April 19, 2016
•Lecturer, The BEPS Project of the OECD: Implications for a Rational United States, The Norman A. Sugarman Tax Lecture, March 29, 2016
•Speaker, U.S. Tax Developments/BEPS/FATCA, Tax Academy of Singapore, Tax Edge Series: U.S. Tax Developments, September 18, 2015
•Panelist, A Fiscal Revolution, Swiss-American Chamber of Commerce, September 17, 2015
•Panelist, In Pursuit of Tax Research for Growth, SMU-TA Centre for Excellence in Taxation, A New Equilibrium in Tax Competition and Global Tax Co-operation?, September 17, 2015
•The Making of Tax Policy in the U.S., The Chinese University of Hong Kong, Centre for Financial Regulation and Economic Development (CFRED), Tax Law Seminar, September 9, 2015
•Moderator, Offshore Enforcement 2015: Recent Developments and Hot Topics, Caplin & Drysdale, Chartered, September 1, 2015
•Speaker, Actions 8, 9, 10 and 13: Transfer Pricing, VI Congresso Brasileiro de Direito Tributario Internacional, August 20, 2015
•Speaker, Tax Treaties - A Primer, National Association for Business Economics, 2015 Transfer Pricing Symposium, July 21, 2015
•Speaker, The U.S. Reaction to BEPS, Heidelberg University, Mini-Symposium (IFA), July 2, 2015
•Speaker, The U.S. Reaction to BEPS, Heidelberg University, Speech, July 1, 2015
•Speaker, U.S. Perspective on the OECD's BEPS Project, Julius-Maximilians-Universitat Wurzburg, Speech, June 30, 2015
•Presenter, U.S. Politics in a Time of BEPS, Heinrich-Heine-Universitat Dusseldorf, Student Lecture, June 25, 2015
•Presenter, U.S. Politics in a Time of BEPS, Heinrich-Heine-Universitat Dusseldorf, Lecture, June 24, 2015
•BEPS and the United States: Implications, Links, Consequences, Max Planck Institute for Tax Law and Public Finance, Lecture, June 22, 2015
•The Base Erosion and Profit Shifting Evolution, Claudio Dematte Research of SDA Bocconi School of Management, Global BEPS Conference, May 26, 2015
•Debate Panel: Is the U.S. International Tax System Really Broken?, New York Law School and KPMG LLP, 15th Annual Lecture Series on Current Issues in Taxation, April 21, 2015
•Faculty, Tax Planning in the U.S., WU/Institute for Austrian and International Tax Law and Akademie der Wirtschaftstreuhander GmbH, LL.M. Program in International Tax Law, March 20, 2015
•Speaker, The U.S. Reaction to BEPS, MASIT International Tax Policy Update 2015, Tax Rulings and EU State Aid Rules/U.S. and UK Perspective on BEPS, February 3, 2015
•Speaker, The Implications of FATCA in Switzerland, University of Geneva, Tax Law Day, February 2, 2015
•Presenter, Qualification of Arbitrators: Procedural Rules and The Role of Taxpayers, Vienna University of Economics and Business, International Arbitration in Tax Matters: Taking the Debate, January 19, 2015
•Speaker, Tax Treaty Policy of the United States, The Instituto Tecnologico Autonomo de Mexico (ITAM), November 21, 2014
•Speaker, U.S. Tax Law, Copenhagen Business School, Tax Conference: Qualification and Withholding Taxes on Dividends, November 12, 2014
•Speaker, U.S. Model Treaty on Dividends, Copenhagen Business School, Tax Conference: Qualification and Withholding Taxes on Dividends, November 12, 2014
•Speaker, U.S. Taxation of Foreign Corporations Business Profits: and Other Code and Treaty Developments, Bloomberg BNA, Tax Treaties: Recent Developments and Emerging Issues, November 5, 2014
•Panelist, Offshore Enforcement 2014: Recent Developments and Hot Topics, Caplin & Drysdale, Chartered, October 13, 2014
•Speaker, International Treaties to Avoid Double Taxation and Exchange of Information: Current Situation Between USA and Prospects for the Future, First International Forum on Taxation, The National Institute of Legal Studies and Business, August 22, 2014
•Speaker, International Taxation: A Curent View from the U.S., Pontificia Universidade Catolica do Rio Grande do Sul (PUCRS), August 22, 2014
•Speaker, Major Issues in Cross-Border Taxation, Making of U.S. Tax Policy, ITP, New York Unviersity, August 21, 2014
•Speaker, Guest Speaker, International Fiscal Association (IFA) and Canadian Tax Foundation (CTF), Treaty Shopping: Anticipating Developments in Canada and Internationally, February 5, 2014
•Speaker, What Should Finance Do About Treaty Shopping?, International Fiscal Association (IFA) and Canadian Tax Foundation (CTF), Treaty Shopping: Anticipating Developments in Canada and Internationally, February 5, 2014
• What Should Finance Do About Treaty Shopping?, February 3, 2014
•David Rosenbloom to Speak at Legal Affairs Group Luncheon, January 15, 2014
•Scott Michel and David Rosenbloom to Speak at IFA Copenhagen 2013, August 26, 2013
•H. David Rosenbloom Presents Lecture Series in Italy, May 6, 2013
•David Rosenbloom Speaks at Tax Lecture Series on Tax Planning for U.S Inbound Investment, April 18, 2013
•H. David Rosenbloom to Speak at the 2013 International Taxation Conference, March 1, 2013
•H. David Rosenbloom to Appear before the Standing Committee on Finance, February 7, 2013
•H. David Rosenbloom to Speak at 75th Anniversary of the International Fiscal Association, February 2, 2013
•H. David Rosenbloom to Speak at the University of London, January 16, 2013
•H. David Rosenbloom to Speak at the Wall Street Tax Association, November 26, 2012
•Scott D. Michel & H. David Rosenbloom to Speak at ABA Section of Taxation's Conference on International Tax Enforcement, November 8, 2012
•H. David Rosenbloom to Speak at Mumbai Law Firm, October 30, 2012
•H. David Rosenbloom to Speak at NYU-ACTL US International Taxation Conference: Issues For The Years Ahead, October 23, 2012
•H. David Rosenbloom to Speak at Vienna University of Economics and Business Tax Governance Conference, September 20, 2012
•H. David Rosenbloom to Chair the NYU School of Law and the Amsterdam Centre for Tax Law Conference FATCA From a US and EU Perspective, June 21, 2012
•H. David Rosenbloom Speaks About The Vodafone Decision Impact on US-India Investment Strategies in NYC, January 25, 2012
•International Tax Policy: A Current View from the United States, August 3, 2011
•Panelist, David Rosenbloom to Speak on Competent Authority Panel, George Washington University & The Internal Revenue Service, 23rd Annual Institute on Current Issues in International Taxation, December 9, 2010
•Speaker, The UBS Saga and Its aftermath: Aspects of International Tax Compliance, Tax Executives Institute, Inc., Virginia Chapter Meeting, November 18, 2010
•Tax in the Spotlight: Governments and Tax Directors under Pressure, September 29, 2010
•Taxation and Human Rights in Europe and the World, September 16, 2010
•The Foreign Account Tax Compliance Act in 2010 Explored, August 5, 2010
•International Tax Issues Facing U.S. Taxpayers With Foreign Accounts and Their Financial Institutions, March 18, 2010
•Panelist, Global Trends in Tax Reform and How These Might Impact Developments in U.S. International Taxation, Federal Bar Association, March 5, 2010
•Cross-Border Tax Arbitrage: The Good, The Bad and The Ugly, November 10, 2006

Recent News

•David Rosenbloom Comments on Foreign Tax Credit, Tax Notes, March 25, 2019
•David Rosenbloom and Clark Armitage Comment on Companies Leveling Tax Liabilities, Law360, March 22, 2019
•Tax Notes Quotes David Rosenbloom on Implementing Taxation of Foreign Sales of Partnership Interests, Tax Notes, February 19, 2019
•David Rosenbloom Offers Solution to Conflicting Provisions Under FTC Regs, Tax Notes, February 4, 2019
•Who's Who Legal Selects David Rosenbloom and Christopher Rizek as Leaders in Corporate Tax, Who's Who Legal, November 28, 2018
•Peter Barnes and David Rosenbloom Comment on IRS Transfer Pricing Tool, Law360 Tax Authority, November 2, 2018
•David Rosenbloom Talks to POLITICO on UK Digital Services Tax and Its Implications for the U.S., POLITICO, November 1, 2018
•David Rosenbloom Talks to Law360 on Transfer Pricing Issues to be Explored at ABA Conference, Law360, October 2, 2018
•David Rosenbloom Talks to Law360 on Proposed GILTI Regs' Anti-Abuse Rule Seen As Overly Broad, Law360, September 17, 2018
•Worldwide Tax Daily Quotes David Rosenbloom: BEAT Conflict Clouds Future of Pending Tax Treaties, Tax Notes, August 27, 2018
•David Rosenbloom Talks to Law360: Altera Withdrawal Highlights Warring Transfer Pricing Rules, Law360, August 15, 2018
•Caplin & Drysdale Improves Ranking in 2019 Best Lawyers in America, August 15, 2018
•Bloomberg Law Quotes David Rosenbloom: Tax Loophole Could Let Wealthy Tap 21% Corporate Rate, Bloomberg Law, Daily Tax Report: International, July 12, 2018
•David Rosenbloom Named to The Legal 500's Hall of Fame, The Legal 500, July 10, 2018
•David Rosenbloom and Elizabeth Stevens Submit Amicus Brief to Uphold Decision Favoring Amazon in IRS Transfer Pricing Dispute, Law360, July 9, 2018
•Wall Street Journal Quotes David Rosenbloom: Companies Hope to Beat a New Tax Called the BEAT, The Wall Street Journal, June 26, 2018
•David Rosenbloom Discusses with Tax Notes One Reason Congress Should Revisit the BEAT, Tax Notes, June 18, 2018
•2018 Legal 500 Distinguishes 18 Caplin & Drysdale Attorneys, Firm Renews Top-Tier Firm Ranking for Tax Controversy, The Legal 500, May 31, 2018
•Tax Notes Quotes David Rosenbloom on Tax Reform Open Questions, Tax Notes, May 29, 2018
•David Rosenbloom Quoted by Tax Notes on the Conflict Between GILTI and U.S. Tax Treaties, Tax Notes, May 7, 2018
Chambers USA Recognizes 10 Caplin & Drysdale Lawyers as Leaders in Their Fields, Chambers USA, May 3, 2018
•18 Caplin & Drysdale Attorneys Recognized by Super Lawyers in D.C., April 23, 2018
•Law360 Quotes David Rosenbloom on TCJA and Inversions, Law360, April 16, 2018
•David Rosenbloom Responds to Tax Reform Q&A, WalletHub.com, March 28, 2018
•David Rosenbloom's Article Cited on International Tax Portal, TaxIndiaInternational.com, January 27, 2018
•Peter Barnes and David Rosenbloom Discuss New Tax Law Undermining Treaties and International Policy, Law360, January 9, 2018
•Peter Barnes and David Rosenbloom Discuss Impact of New International Tax System with Law360, Law360, January 1, 2018
•BBC News Quotes David Rosenbloom on Trump's Tax Plans Impact on International Tax, BBC News, December 18, 2017
•David Rosenbloom Comments: Legislation Raises Tax Treaty Concerns for U.S. Multinationals, Daily Tax Report, December 14, 2017
•Law360 Quotes Peter Barnes and David Rosenbloom on International Interest Deductions in Tax Bill, Law360, December 7, 2017
•Law360 Quotes Peter Barnes and David Rosenbloom: Foreign Credits At Risk in Senate Tax Bill, Analysts Say, Law360, November 16, 2017
•Washington Post Quotes David Rosenbloom on Americans with Offshore Interests, The Washington Post, November 14, 2017
•David Rosenbloom Discusses Impact of Cutting Corporate Tax Rate, The Christian Science Monitor, November 8, 2017
•Law360 Quotes David Rosenbloom on Threat to 20% Corporate Tax Rate, Law360, November 8, 2017
•David Rosenbloom Comments on Offshore Tax Havens, Daily Tax Report, November 5, 2017
•David Rosenbloom Comments on Proposed Tax Cuts, TheStreet.com, September 29, 2017
•David Rosenbloom Discusses Corporate Integration Plan with Law360, Law360, September 19, 2017
•David Rosenbloom Comments: Delays Fuel Speculation About Regulatory Future, Tax Notes, August 22, 2017
•Caplin & Drysdale Earns Top Ranking in 2018 Best Lawyers in America, August 15, 2017
•David Rosenbloom Comments on Alternatives to BAT, Forbes, July 28, 2017
•7 Caplin & Drysdale Lawyers Listed as Leaders in Their Field by Expert Guides, Expert Guides, July 25, 2017
•David Rosenbloom Comments on Trump's Proposed 15% Corporate Tax Rate, Bloomberg Law, June 27, 2017
•18 Caplin & Drysdale Lawyers Recognized in 2017 Legal 500 Ranking, The Legal 500, June 2, 2017
•Caplin & Drysdale Lawyers Improve Their 2017 Chambers' Rankings, Chambers USA, June 2, 2017
•David Rosenbloom Offers Analysis of Republican Party's Tax Reform Proposal, FiscoOggi, May 31, 2017
•David Rosenbloom Discusses Corporate Repatriation of Profits with Tax Notes, Tax Notes, May 12, 2017
•Caplin & Drysdale Lawyers Listed Among D.C.'s Most Prominent Practitioners, Super Lawyers, April 27, 2017
•BNA Quotes David Rosenbloom: GOP Plan to Bring Back Offshore Cash May Cause Headaches, Bloomberg BNA, April 19, 2017
•Tax Notes Quotes David Rosenbloom: Challenging Outbound Transfers of Intangibles, Tax Notes, April 17, 2017
•Tax Notes Quotes David Rosenbloom: States Consciously Uncoupling From the Cash Flow Tax?, Tax Notes, April 10, 2017
•Tax Notes Quotes David Rosenbloom: The Hexagon of Tax Reform, Tax Notes, April 5, 2017
•Bloomberg TV Interviews David Rosenbloom: Apple Challenges EU Tax Bill: Do They Have a Case?, Bloomberg Technology, December 19, 2016
•David Rosenbloom Comments on Crackdown on Corporate Tax Avoidance, Law360, December 9, 2016
•David Rosenbloom Comments on Americans Paying Apple Millions to Shelter Overseas Profits, WealthManagement.com, December 7, 2016
•David Rosenbloom Comments on EU Tax Probes Prompting Questions About Risk, Tax Management Transfer Pricing Report , November 17, 2016
•Bloomberg BNA Quotes David Rosenbloom on the Exit Tax, Bloomberg BNA, August 29, 2016
•Best Lawyers in America Lists 18 Caplin & Drysdale Attorneys, U.S. News & World Report, August 15, 2016
•David Rosenbloom Comments on Notable Tax Laws and Regulations of 2016, Law360, July 12, 2016
•David Rosenbloom Comments on EU Starbucks Ruling in Bloomberg BNA, Bloomberg BNA, July 5, 2016
•Bloomberg BNA Quotes David Rosenbloom on Luxembourg and U.S. Working on Treaty Language, Bloomberg BNA, June 23, 2016

Areas of Practice (3)

  • International Tax
  • Tax Controversies
  • Tax Litigation

Education & Credentials

Contact Information:
(202) 862-5037  Phone
www.caplindrysdale.com
University Attended:
Princeton University, A.B., summa cum laude, 1962; University of Florence, Florence, Italy, Fulbright, 1963
Law School Attended:
Harvard Law School, J.D., magna cum laude, 1966
Year of First Admission:
1967
Admission:
U.S. District Court for the District of Columbia; District of Columbia Court of Appeals; U.S. Bankruptcy Court for the District of Columbia; U.S. Tax Court; 1968, District of Columbia; 1967, New York; U.S. Supreme Court
Memberships:

Other Professional Affiliations

Member, International Fiscal Association
Member, U.S. Council for International Business
Member, Board of Directors, Tax Analysts

Professional Activities

•James S. Eustice Visiting Professor of Taxation and Director of International Tax Program, New York University School of Law
•Lecturer on international taxation at Harvard, Stanford, the University of Pennsylvania, and Columbia Law Schools, and at universities in Sydney, Vienna, Melbourne, Milan, Bergamo, Bologna, Bari, Mexico City, Mainz, Heidelberg, Neuchatel, Lisbon, and Rio de Janeiro
•Instructed at the University of Pretoria, the Universita del Piemonte Orientale, the Max Planck Institute in Munich, Seoul National University, Leiden University, University of Amsterdam, the Public Finance Training Center in Taipei, and the OECD Multilateral Training Centres for Tax Offices from CIS and Eastern European Countries in Vienna, Ankara, and Budapest

Languages:
French and Italian
ISLN:
902010459

Peer Reviews

5.0/5.0
A Martindale-Hubbell Peer Rating reflects a combination of achieving a Very High General Ethical Standards rating and a Legal Ability numerical rating.

*Peer Reviews provided before April 15, 2008 are not displayed.

Documents (23)

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