Daniel Rosen > Baker McKenzie LLP > Washington DC, United States > Lawyer Profile
Baker McKenzie LLP Offices

815 CONNECTICUT AVENUE, N.W.
WASHINGTON, DC 20006
DISTRICT OF COLUMBIA
United States
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Daniel Rosen

Work Department
Tax
Position
Daniel A. Rosen is a senior counsel in the North America Tax Practice Group in New York. He is a seasoned tax lawyer with over 16 years of experience with the Internal Revenue Service. Mr. Rosen was a key participant in the drafting of published guidance and administrative directives involving judicial doctrines for the IRS Large Business and International Division (LB&I). He served as IRS counsel in many cases that resulted in published opinions and is a frequent speaker for George Washington University School of Law, the Practising Law Institute, Tax Executives Institute and the ABA. Additionally, Mr. Rosen served during law school as business editor of the Hofstra Law Review. He is an adjunct professor of law at New York Law School.
Career
Mr. Rosen’s practice focuses upon large case tax litigation and administrative tax controversies. He has been responsible for litigating some of the largest, most complex, and most sensitive cases pending before the United States Tax Court. He has litigated precedent-setting cases involving a wide variety of international and domestic tax issues, including transfer pricing, hybrid instruments, corporate and individual tax shelters, and research and development tax credits. He has worked closely with the US Department of Justice, Tax Division, on related cases and cross assignments, and has advised LB&I executives, managers and examiners on tax controversy matters, including settlement initiatives.
Mr. Rosen has broad experience representing clients under investigation by the US Congress, including the Permanent Subcommittee on Investigations. He assists clients during all phases of investigation, including responding to information and document requests, witness interviews, and hearings.
Languages
English, French
Lawyer Rankings
United States > Tax > US taxes: contentious
Acting for multinational companies and HNW individuals, Baker McKenzie LLP is sought after for advice on the full spectrum of tax controversy matters, including appeals, audits, and litigation, with the firm praised as ‘an excellent tax firm, especially for transfer pricing‘. George Clarke in Washington DC leads the firm’s North America tax controversy sub-practice, drawing on his vast experience in both civil and criminal tax litigation matters. Also in DC are IRS litigation expert Duane Webber and transfer pricing specialist Salim Rahim. Scott Frewing in Palo Alto handles complex civil and criminal matters, as well as financial investigations. In Chicago, Mark Oates is a key adviser on highly technical matters, including tax treaty interpretation, foreign tax credits, and issues arising from M&A. In New York, Maria Eberle chairs the SALT sub-practice group, and senior counsel Daniel Rosen draws on deep experience with the IRS to advise on regulatory issues. Newly promoted partner Cameron Reilly in Chicago and Robert Albaral in Dallas are also key names in team.
Lawyer Rankings
Top Tier Firm Rankings
- International trade and national security > Customs, export controls and economic sanctions
- Media, technology and telecoms > Cyber law (including data privacy and data protection)
- Finance > Fintech
- Finance > Project finance
- Tax > US taxes: contentious
Firm Rankings
- Labor and employment > Employee benefits, executive compensation and retirement plans: transactional
- Labor and employment > Immigration
- Dispute resolution > International litigation
- Tax > International tax
- Media, technology and telecoms > Outsourcing
- Dispute resolution > Securities litigation: defense
- Media, technology and telecoms > Technology transactions
- Labor and employment > Workplace and employment counseling
- Transport > Aviation and air travel: litigation and regulation
- Labor and employment > Employee benefits, executive compensation and retirement plans: design
- M&A/corporate and commercial > M&A: large deals ($1bn+)
- International trade and national security > National Security
- M&A/corporate and commercial > Private equity buyouts: middle-market (Up to $500m)
- Energy > Renewable/alternative power
- Intellectual property > Trademarks: non-contentious (including prosecution, portfolio management and licensing)
- Finance > Capital markets: equity offerings
- Antitrust > Cartel
- International trade and national security > CFIUS
- Environment > Environment: regulatory
- Intellectual property > Patents: prosecution (including re-examination and post-grant proceedings)
- Dispute resolution > Product liability, mass tort and class action - defense: consumer products (including tobacco)
- International trade and national security > Trade remedies and trade policy
- Tax > US taxes: non-contentious
- Antitrust > Civil litigation/class actions: defense
- Dispute resolution > International arbitration
- Antitrust > Merger control
- Finance > Restructuring (including bankruptcy): corporate
- Dispute resolution > Corporate investigations and white-collar criminal defense