Philip Rogers has practiced international tax law since 1983. 

Philip concentrates his practice in international tax, including legal and operational structuring, general international tax planning matters, global transfer pricing strategy and documentation, cross-border mergers, acquisitions, dispositions and joint ventures, and international tax controversy. He has led dozens of international structuring projects for companies across a wide spectrum of industries and jurisdictions, and his clients include leaders in the financial, high technology and consumer products industries.