Andrew helps multinational companies navigate the tax implications of domestic and international business activities, including mergers and acquisitions, post-deal integrations, supply chain restructurings, cash repatriation strategies and tax-efficient operating models.
His experience spans a broad range of international tax issues, including foreign tax credits, Subpart F income, GILTI, FDII, BEAT and OECD Pillar Two developments. He works closely with businesses to assess the tax impact of strategic initiatives, manage tax risk and develop practical solutions that support commercial objectives.
Prior to joining Eversheds Sutherland (US) LLP, Andrew advised on global tax planning, international tax strategy and cross-border transactions in both in-house and professional services roles. He counseled stakeholders on complex international tax considerations across numerous jurisdictions, developed tax-efficient structuring and operating model solutions, and monitored evolving global tax legislation and regulatory developments affecting multinational businesses. He also prepared technical analyses and guidance addressing international tax planning, compliance and operational matters.
Andrew previously served as a law clerk to a judge of the United States Tax Court, where he drafted judicial opinions, bench memoranda and orders involving complex federal tax issues.
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- Member, International Fiscal Association, USA branch
- Member, District of Columbia bar, Section on Taxation
- District of Columbia Circuit
- LL.M., Taxation, University of Florida Levin College of Law
- J.D., University of Tennessee College of Law
- B.S., cum laude, University of Tennessee