Identify, prioritize, develop, and implement strategies to support the RTX effective tax rate and cash mobilization objectives.
Provide counsel to the business on domestic and international tax issues in connection with business restructurings, acquisitions, dispositions, etc.
Advise the business on tax issues related to customer and supplier transactions, including review and negotiation of material contracts.
Collaborate closely with others in the tax department, corporate and business unit functions, and outside advisors.
Establish and maintain positive and effective relationships with key stakeholders throughout the business.
In all areas of responsibility, the incumbent is responsible for providing full compliance with the 'RTX Policy Statement on Contracting with the United States Government' and the 'RTX Code of Ethics.'
Requirements
Minimum 7+ years of relevant experience in tax either in a professional services environment or corporate tax group focused on income tax.
Undergraduate degree required; advanced degree (MST, MSA, MBA, or Juris Doctor) highly preferred; LL.M. (particularly in Taxation) is a plus.
Strong knowledge of US international tax concepts, including international mergers, acquisitions, dispositions, transfer pricing, outbound transfers, subpart F/NCTI (formerly known as “GILTI”) and foreign tax credits.
In-depth knowledge of general tax principles which may impact a multinational aerospace and defense company as well as good understanding of ASC 740 tax.
Ability to be proactive, think ahead and learn quickly combined with a self-assured personality able to simplify tax technical areas to non-tax business units & cross functional teams
Collaborative and team player qualities to ensure a good fit with the internal tax group that is extremely collaborative now and offers a supportive tax environment.
Prefer the ability to be able to commute to Hartford, CT one day a week.