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Tim Laderach is an associate in Crowell & Moring’s Antitrust and International Trade practices. He creatively leverages his extensive military and healthcare background to help clients meet their business and legal objectives. His practice spans transactions, investigations, compliance, and regulatory advice.

Tim also maintains an active pro bono practice representing clients seeking political asylum.

While in law school, Tim was a law clerk on Capitol Hill with the majority staff of the Senate Judiciary Committee. There, he authored a memo on competition issues with artificial intelligence (AI)-based pricing algorithms. He was also engaged in a wide variety of the committee’s portfolio, including agency oversight, hearing preparation, and legislative research for national security-related bills pending before the committee. Additionally, Tim has experience as an intern at the Federal Trade Commission (FTC) Healthcare Division. He was involved with a variety of conduct litigation and conducted initial research on Pharmacy Benefit Managers ahead of the current 6-B study.

Tim served on active duty in the U.S. Navy prior to law school. He completed tours as outpatient pharmacy division officer at Naval Hospital Jacksonville Florida and later as pharmacy department head at the Office of Attending Physician, U.S. Capitol. He continues his service now as an officer in the U.S. Navy Reserve.

The snapback of UN sanctions on Iran took effect on September 27, 2025, after the E3 (France, Germany, UK) triggered the mechanism under UN Security Council Resolution 2231 and the Security Council failed to extend sanctions relief. Please see our previous Alert on the snapback process and what this could mean for global businesses.

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The AI Action Plan spotlights AI innovation, adoption, and competitiveness, but much work remains to turn its vision into reality.

Click here to continue reading the full version of this alert.

On Thursday, May 9, 2024, the U.S. Department of Commerce Bureau of Industry and Security (BIS) added 37 Chinese entities to the Entity List. Among them were technology companies (predominately those tied to quantum computing), manufacturing firms, and research institutions. No person may export, reexport, or transfer any items subject to the Export Administrative Regulation