Sarah Helfers advises multinational companies on domestic and international tax planning matters, including pre-transaction structuring and post-acquisition integration. She also counsels on Subpart F, Global Intangible Low Tax Income (GILTI), and Base Erosion Anti-Abuse Tax (BEAT) planning. In addition, Sarah has experience managing the corporate implementation of complex domestic and cross-border intercompany transactions. Before joining Morgan Lewis, Sarah was an associate in the tax practice and the corporate practice of another global law firm and, before that, an attorney at the IRS Office of Chief Counsel.
Loyola University Chicago School of Law, 2006, J.D.