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:
Treatise  Treatise International Tax Controversies: A Practical Guide (2018 Edition) - International Tax Controversies: A Practical Guide (2017 Edition)
Treatise Chapters  Treatise Chapters The Role of the Competent Authority: Mutual Agreement 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
Exchange of Information - 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
Discovery in International Tax Cases - 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
Trial and Appellate Practice - 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
Index - 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
Pre-Audit Planning, Including Document Retention and Spoliation - 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
Handling the International Examination - International Tax Controversies: A Practical Guide (2018 Edition), Monday, August 21, 2017
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 (2018 Edition), Thursday, February 15, 2018
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” - Consolidated Tax Return Regulations 2018, Monday, February 26, 2018
New U.S. International Tax Rules: The Basics of GILTI, FDII, BEAT, etc. (May 7, 2018) - Basics of International Taxation 2018, Tuesday, July 24, 2018
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