International Tax Center Leiden
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Yariv Brauner
Yariv brauner is an Associate Professor of Law at the University of Florida Levin College of Law, U.S.A. Prof. Brauner received his law degree from Hebrew University, Jerusalem, and an LL.M (in International Taxation) and a J.S.D. from New York University. He practiced with Ernst & Young LLP in New York City.

Course: US International Tax Law

Detailed CV


Richard L. Doernberg
Law degree from the University of Connecticut (1976) and an LLM in Taxation from New York University (1980). K. H. Gyr Professor of Legal Studies at Emory University School of Law. Member of the Advisory Group to the OECD on the Model Income Tax Treaty; member of the Executive Committee of the USA IFA Branch ; Senior Correspondent for Tax Notes International, Contributing Editor for Intertax and a Member of the Editorial Board of the Series on International Taxation (Kluwer Law International). Author of several books, most recently ‘International Taxation in a Nutshell’ (West Group 7th ed., 2007).

Course: US International Tax Law

Detailed CV


Lawrence Lokken
Law degree from University of Minnesota (1967). Professor and Eminent Scholar in Taxation at the University of Florida (since 1994). Professor at New York University (1980–93). Visiting professor at several prominent universities worldwide, including University of Minnesota (1973–74), Duke University (1988), Münster University, Germany (1999–2009), Rand Afrikaans University (2001), Warsaw University, Poland (2000, 2002, 2008), Southern Methodist University (2003), and Northwestern University (2004–2005).

Courses: US International Tax Law, US Domestic Tax Law

Detailed CV


H. David Rosenbloom
H. David Rosenbloom became the Director of the International Tax Program in 2002. He is a member of Caplin & Drysdale, Chartered, a firm he rejoined in 1981 after serving as International Tax Counsel and Director, Office of International Tax Affairs, in the U.S. Treasury Department from 1978 to 1981. He has also served as Tax Policy Advisor for the U.S. Treasury, the OECD, AID, and the World Bank in Eastern Europe, the former Soviet Union, Senegal, Malawi, and South Africa. Professor Rosenbloom's major areas of practice include international tax controversies, transfer pricing planning and disputes, advance pricing agreements, the foreign tax credit, tax treaties, financial products and financial institutions, and international aspects of corporate and individual tax planning. He is the author of numerous articles on international tax issues.

Course: US International Tax Law

Detailed CV


William P. Streng
Northwestern University School of Law (1962). Mr. Streng is the Vinson & Elkins Professor of Law at the University of Houston Law Center where (since 1985) he has taught courses in federal income tax, corporate tax, estate planning and international taxation. From 1980 until 1985, Mr. Streng was the partner in charge of the tax department at Bracewell & Patterson (presently Bracewell & Giuliani), a Houston-based law firm. He continues as a consultant with the firm. Prior to 1980 he was (from 1973 through 1979) a Professor of Law at the School of Law, Southern Methodist University, Dallas.

Course: US International Tax Law

Detailed CV


George K. Yin
George Yin is the Edwin S. Cohen Distinguished Professor of Law and Taxation at the University of Virginia where he has been on the faculty since 1994. From 2003-05, he served as Chief of Staff of the U.S. Congress's Joint Committee on Taxation, one of the most influential tax positions in the country. He has also been on the law faculty of the University of Florida and a visiting professor at NYU, Pennsylvania, and Brigham Young, practiced law in D.C., and served as tax counsel to the U.S. Senate Finance Committee.
Yin previously coordinated for the Senate Finance Committee a major project to reform and simplify the tax laws dealing with corporate-shareholder transactions, including corporate mergers, acquisitions, and reorganizations. Between 1994-99, he was reporter to the American Law Institute's federal tax project concerning the income taxation of private business enterprises, such as closely held corporations, partnerships, and limited liability companies. He has published numerous articles, book chapters, and other writings and served as a consultant to a number of organizations, including the ALI, the Department of Treasury, the U.S. Joint Committee on Taxation, the National Commission on Restructuring the Internal Revenue Service, and the Select Revenue Measures Subcommittee of the U.S. House Committee on Ways and Means.

Course: US International Tax Law

Detailed CV


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‘I entered the LLM (Adv.) Program in International Tax Law after some years of practice. After attending the program I have gained both an excellent basic knowledge on international tax law in addition to in-depth knowledge and understanding of various issues in the field. This will definitely be of great value to me in my professional future.’

Jón Gudmundsson