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David Noren

David G. Noren focuses his practice on international tax planning for multinational companies. David advises clients on a wide range of “outbound” and “inbound” issues, with a particular focus on the subpart F anti-deferral rules, the application of bilateral income tax treaties, and the treatment of cross-border flows of services and intellectual property rights under transfer pricing and other rules. Prior to joining the Firm, David served as legislation counsel to the Joint Committee on Taxation in the US Congress where he advised the House Ways & Means Committee, the Senate Finance Committee and other members of Congress on proposed international tax legislation. He played a major role in the development of several international tax bills, including those culminating in the American Jobs Creation Act of 2004. David also advised the Senate Foreign Relations Committee on the review and ratification of several tax treaties and protocols, carried out the international tax aspects of special investigations and studies requested by members of Congress, and assisted in the Joint Committee staff’s review of large tax refunds in the international area. Prior to working in Congress, David taught in the tax program at the New York University School of Law. David has testified in congressional hearings on international tax issues and is a frequent writer and speaker on such topics. While in law school, David was an editor of the Harvard Law Review. · McDermott Will & Schulte

United StatesInternational Tax, U.S. Tax

About

David Noren focuses his practice on international tax planning for multinational companies, advising on a wide range of outbound and inbound issues including subpart F anti-deferral rules, bilateral income tax treaties, and transfer pricing.

Practice areas

International TaxU.S. TaxTransfer Pricing

Office

United States

McDermott Will & Schulte · David G. Noren focuses his practice on international tax planning for multinational companies. David advises clients on a wide range of “outbound” and “inbound” issues, with a particular focus on the subpart F anti-deferral rules, the application of bilateral income tax treaties, and the treatment of cross-border flows of services and intellectual property rights under transfer pricing and other rules. Prior to joining the Firm, David served as legislation counsel to the Joint Committee on Taxation in the US Congress where he advised the House Ways & Means Committee, the Senate Finance Committee and other members of Congress on proposed international tax legislation. He played a major role in the development of several international tax bills, including those culminating in the American Jobs Creation Act of 2004. David also advised the Senate Foreign Relations Committee on the review and ratification of several tax treaties and protocols, carried out the international tax aspects of special investigations and studies requested by members of Congress, and assisted in the Joint Committee staff’s review of large tax refunds in the international area. Prior to working in Congress, David taught in the tax program at the New York University School of Law. David has testified in congressional hearings on international tax issues and is a frequent writer and speaker on such topics. While in law school, David was an editor of the Harvard Law Review.

United States

Expertise

Subpart F Anti-Deferral RulesBilateral Income Tax TreatiesTransfer PricingCross-Border Services and Intellectual Property

Education

  • Harvard Law School