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      <title>Jones Day Partner Lori Hellkamp by Lori Hellkamp</title>
      <link>https://padlet.com/lorihellkamp/about</link>
      <description>As a partner at Jones Day in Washington DC, Lori Hellkamp regularly provides clients with creative solutions to complex tax issues. Her practice has a particular focus on developing efficient tax structures for cross-border transactions, restructurings and operations, as well as other matters of international tax planning and compliance. In this position, she has provided counsel to both public and private companies, funds and high net-worth individuals facing a multitude of multi-jurisdictional issues, including audits and challenges by the Internal Revenue Service and foreign taxing authorities. In addition to her activities in this role, Lori Hellkamp is a frequent speaker at legal and tax conferences and widely published legal writer, having published articles with Tax Notes, Tax Notes International, Bloomberg and the Corporate Counsel Business Journal.

Ms. Hellkamp studied as an undergraduate at Rice University in Houston, graduating magna cum laude with a bachelors degree. She continued her education at the University of Oxford in the U.K., earning a master of philosophy with distinction, before earning her law degree at Duke University School of Law. Following her graduation from Duke in 2008, she earned a master of laws degree in tax law from Georgetown University while an associate at Jones Day. Over the course of her career, she has joined and taken leadership roles in a number of professional organizations such as the American Bar Association, Tax Executives Institute (TEI) and Annual GW-IRS International Tax Institute, serving the latter as a member of the board.</description>
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      <pubDate>2021-04-13 05:39:19 UTC</pubDate>
      <lastBuildDate>2026-02-21 02:27:33 UTC</lastBuildDate>
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         <title>It’s Time to Look Again at the Anti-Hybrid Rules</title>
         <author>lorihellkamp</author>
         <link>https://padlet.com/lorihellkamp/about/wish/1880554229</link>
         <description><![CDATA[<div><br>The statutory language of section 267A can give the impression that this provision, enacted as part of the Tax Cuts and Jobs Act, offers a relatively limited regime that targets only hybrid transactions involving a U.S. taxpayer. Taxpayers and practitioners must understand the true breadth of this provision because the recently finalized, and retroactively effective, regulations promulgated under it can affect transactions beyond those implicated by the words of the statute, particularly when it comes to foreign-parented multinationals.</div><div><br><br></div>]]></description>
         <enclosure url="https://lori-hellkamp.medium.com/its-time-to-look-again-at-the-anti-hybrid-rules-52dda91cdd84" />
         <pubDate>2021-11-10 07:09:28 UTC</pubDate>
         <guid>https://padlet.com/lorihellkamp/about/wish/1880554229</guid>
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         <title>Lori Hellkamp — Experienced Tax Partner with Jones Day</title>
         <author>lorihellkamp</author>
         <link>https://padlet.com/lorihellkamp/about/wish/1907435556</link>
         <description><![CDATA[<div>A partner at Jones Day since 2018, Lori Hellkamp spent the prior decade as an associate with the firm, which operates out of Washington, D.C. Throughout her time with Jones Day, she has focused on tax issues, seeking creative solutions for clients in areas such as cross-border transactions, compliance, restructurings, M&amp;A, and tax controversy. Lori Hellkamp has also assisted clients resolving disputes with the Internal Revenue Service and foreign taxing authorities in Appeals and Mutual Agreement Proceedings..</div>]]></description>
         <enclosure url="https://lori-hellkamp.medium.com/lori-hellkamp-experienced-tax-partner-with-jones-day-1d97a7803482" />
         <pubDate>2021-11-23 02:56:12 UTC</pubDate>
         <guid>https://padlet.com/lorihellkamp/about/wish/1907435556</guid>
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