ZP
ZACHARY PRICE
THE WASHINGTON TAX & PUBLIC POLICY GROUP · Washington, DC · registered since 2024
Registered · LDAActive
At a glance
Registered since
2024
Senate LDA system
Clients
27
last 3 years
Filings
82
3 agencies contacted
Activity
filings by quarter
Works on
Background
Government experience
Staff assistant to Sen. Coats
Disclosed on LD-2 filings
Staff assistant Sen. Coats.
Disclosed on LD-2 filings
Staff Assistant to Sen. Dan Coats
Disclosed on LD-2 filings
Staff assistant
Sen. Coats
Disclosed on LD-2 filings
Staff assistant to Sen. Coats.
Disclosed on LD-2 filings
Staff Assistant to Sen. Coats
Disclosed on LD-2 filings
Staff assistant to Senator Coats.
Disclosed on LD-2 filings
Career
WT
Specific issues
Issues related to corporate and international tax issues, including IRC 11, 951A, 250 on the taxation of domestic and global income. Issues related to the R&E tax credit and the full expensing of R&E expenditures, IRC 41 and 174. (H.R. 7024). General discussions related to corporate and international tax issues and OECD Pillar 1 and Pillar 2 negotiations and agreements on the taxation of global income (No Bill Number).
Issues related to IRC Sections 45Q, 45V, and 48.
Issues related to corporate and international taxation. Issues related to OECD Pillar 1 and Pillar 2 negotiations and agreements on the taxation of global income. Issues related to IRC sections 11, 951A, 250, 163(j), 174 and 41. (H.R. 2673, H.R. 7024).
Issues related to corporate and international tax. Issues related to OECD Pillar 2 negotiations and agreements on the taxation of global income, including IRC section 45W. Issues related to IRC sections 30D, 45X, 45W (S. 3486 and H.R. 6762, and H.R. 9338).
Issues related to corporate and international taxation. Issues related to OECD Pillar 1 and Pillar 2 negotiations and agreements on the taxation of global income. Issues related to tax code sections 11, 951A, 250, 55, 56A, 59, 174, 41, and 958(b)(4).(H.R. 7024, H.R. 5751)
Issues related to corporate and international tax. Issues related to the OECD Pillar 1 and Pillar 2 negotiations and agreements on the taxation of global income. Issues related tax code sections 11, 951A, 59A, 250, 174, 163(j), and 168. (H.R. 2673 and H.R. 7024)
Clients
Filing history
CATERPILLAR INC
BP AMERICA INC.
THE COCA COLA COMPANY
PFIZER, INC.
GENERAL MOTORS COMPANY
FEDEX CORPORATION
MOSAIC COMPANY
YUM! BRANDS
NEXTERA ENERGY CAPITAL HOLDINGS INC. (FORMERLY NEXTERA ENERGY INC.)
KENVUE INC.
INTEREST DEDUCTIBILITY WORKING GROUP
ALLIANCE FOR BIOPHARMACEUTICAL COMPETITIVENESS AND INNOVATION