FacultyFaculty/Author Profile

Amanda P. Varma

Steptoe & Johnson LLP

Washington, DC, USA


AMANDA VARMA is an associate in the Washington, D.C. office of Steptoe & Johnson LLP. Her practice focuses on international tax controversies, including audits, Appeals, competent authority proceedings, and litigation, as well as international tax planning. She advises clients on a broad range of international tax matters, including tax treaty matters; withholding and reporting; transfer pricing; cross-border acquisitions, restructurings, and financings; anti-deferral rules; foreign tax credits; and business and individual voluntary disclosures. She is recommended in Legal 500 US, Tax: International Tax and Tax: Tax Controversy.
Amanda P. Varma is associated with the following items:
CHB Chapters  CHB Chapters The Future of Tax Planning? From Coltec and “You Know It When You See It” to Schering-Plough and “Assimilation with Applicable Tax Laws” - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2016, Tuesday, October 18, 2016
The Future of Tax Planning? From Coltec and “You Know It When You See It” to Schering-Plough and “Assimilation with Applicable Tax Laws” - Consolidated Tax Return Regulations 2017, Wednesday, February 15, 2017
Treatise Chapters  Treatise Chapters The Future of Tax Planning? From Coltec and “You Know It When You See It” to Schering-Plough and “Assimilation with Applicable Tax Laws” - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Trial and Appellate Practice - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Post-Appeals Litigation Options and Choice of Forum - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Pre-Audit Planning, Including Document Retention and Spoliation - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Special Document Issues in International Examinations - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Index - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
The Role of the Competent Authority: Mutual Agreement Procedures - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Discovery in International Tax Cases - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Exchange of Information - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Early Preparation and Documentation for Audit and Controversy - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Handling the International Examination - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
IRS Appeals and Special Appeals Procedures - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Advance Pricing Agreements - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Table of Contents - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
Treatise  Treatise International Tax Controversies: A Practical Guide (2018 Edition) - International Tax Controversies: A Practical Guide (2017 Edition)
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