Elizabeth advises multinational corporations on US federal and international tax matters.
Elizabeth helps businesses navigate the US tax implications of their global operations and transactions. She advises businesses on loss and other attribute planning, subpart F and net CFC tested income, foreign tax credits, foreign-derived deduction eligible income (FDDEI), the base erosion and anti-abuse tax (BEAT), the corporate alternative minimum tax (CAMT), and other key provisions of the Code.
Elizabeth counsel clients on global supply chain restructurings, post-acquisition integrations, internal reorganizations, debt financings, and intellectual property migrations. She also has experience with tax treaties, tax audits and controversies, and the tax aspects of acquisitions and dispositions.
- Advised a client with respect to a $2 billion outbound transfer of intangible property
- Advised a client on entering into a $4.3 billion strategic partnership with an outside investor
- Best Lawyers: Ones to Watch in America, Tax Law, 2024–2027
- Rising Star, Tax – Euromoney Expert Guide, 2021
- Yale Law School, JD
- University of Chicago, BA
- Illinois