FacultyFaculty/Author Profile
Lowell D. Yoder

Lowell D. Yoder

McDermott Will & Emery LLP

Chicago, IL, USA


Lowell D. Yoder is a partner in the law firm of McDermott Will & Emery’s Chicago office, and is head of the U.S. & International Tax Practice Group.  He focuses his practice on cross-border mergers and acquisitions, global tax planning and international tax controversies, representing high-tech, pharmaceutical, ecommerce, financial, consumer and industrial companies.  He advises on tax efficient structuring of cross-border acquisitions, dispositions, financings, internal reorganizations and joint ventures, as well as tax beneficial planning for intangible holding companies, global supply chains, and multi-jurisdictional services arrangements.  Lowell also represents clients before the Internal Revenue Service handling audits and obtaining tax rulings.  He works with an extensive network of lawyers worldwide developing tax favorable transactional and operational cross-border structures.

Lowell has spoken on a variety of international topics before numerous professional organizations.  He is the editor-in-chief of CCH’s International Tax Journal, and has authored and published numerous articles and treatises on international topics. Lowell was an adjunct professor at the Northwestern University School of Law, where he taught advanced international taxation.

Lowell is an active member of International Committees and Advisory Boards. He chairs Practising Law Institute’s International Tax Issues.  He is a fellow of the American College of Tax Counsel and is USA Branch Counsel of the International Fiscal Association.  He is a member of the Planning Committees for the University of Chicago Law School’s Annual Federal Tax Conference and the GWU/IRS Annual Institute on International Taxation, and on the Advisory Board of the Tax Management International Journal.

Lowell D. Yoder is associated with the following items:
Course Handbooks  Course Handbooks International Tax Issues 2016 (Chicago), Chicago, IL
International Tax Issues 2017
Treatise Chapters  Treatise Chapters Tax Strategies for Selling Foreign Subsidiaries - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Section 1248: Taxation of the Disposition of Stock of a CFC - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Avoiding Subpart F Income Through Manufacturing Services Arrangements - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Section 956: Investment in U.S. Property - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Buyers Electing Section 338 for CFC Targets: Sellers Beware - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Section 338 Elections in the Age of Covered Asset Acquisitions - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Planning Techniques Described in the Treasury’s Subpart F Study - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Check-and-Sell Transactions: Proposed Regulations Withdrawn, but Still Under Attack - The Partnership Tax Practice Series, Tuesday, August 01, 2017
Final Regulations Apply Subpart F to a CFC’s Distributive Share of Partnership Income - The Partnership Tax Practice Series, Tuesday, August 01, 2017
CHB Chapters  CHB Chapters Subpart F Sales & Services Planning (June 2017) - International Tax Issues 2017, Monday, September 11, 2017
Live Seminar  Live Seminar International Tax Issues 2018, Wednesday, September 05, 2018, Chicago, IL
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