Brad is an attorney in the office of Associate Chief Counsel (International) where he specializes in transfer pricing and related regimes. He drafted recent TCJA Regulations concerning the Base Erosion and Anti-Abuse Tax (BEAT) of section 59A, inventory sourcing, and the section 250 deduction for Foreign-Derived Intangible Income (FDII). He also advises on transfer pricing aspects of major Tax Court cases and other controversies.
Prior to joining the Office of Chief Counsel, Brad was an international tax associate at a Chicago law firm. He is admitted to practice in Illinois and is also a Certified Public Accountant (Registered).
J.D., University of Notre Dame
Bloomberg Tax Management Portfolios
The Portfolio, No. 625, Obtaining Information from the Government — Disclosure Statutes, discusses the primary disclosure statutes providing access to IRS information