The author John P. Steines, Jr. received a degree in engineering from General Motors Institute in 1971 and worked for General Motors Corporation before receiving his J.D. from Ohio State University College of Law in 1974 (summa cum laude, Order of the Coif). Steines practiced law for three years in Grand Rapids, Michigan and then, as a Gerald L. Wallace Scholar, received an LL.M. in Taxation from New York University in 1978. He became an instructor at NYU and two years later joined the permanent faculty. Steines's teaching includes classes in basic personal and corporate income tax for J.D. students and a wide variety of LL.M. courses in corporate and partnership taxation, consolidated tax returns, tax accounting, international aspects of U.S. taxation, and tax policy. Formerly counsel for many years to Weil, Gotshal & Manges and since 2004 to Cooley LLP (formerly Kronish, Lieb, Weiner & Hellman), Steines's practice focuses on corporate, partnership, and international tax matters. He frequently testifies as an expert in U.S. and foreign tax or tax-related controversies. A former editor-in-chief of the Tax Law Review, his scholarship includes a casebook, International Aspects of U.S. Income Taxation, and several articles on corporate, partnership, and international issues. He was author of the Bittker and Eustice treatise on Federal Income Taxation of Corporations and Shareholders from October 2011 through February 2013.
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