Sandra Hernandez, Managing Director, WTAS, Los Angeles Jeanne Sullivan, Director, National Pass-Throughs Group, KPMG, Washington, D.C.

Size: px
Start display at page:

Download "Sandra Hernandez, Managing Director, WTAS, Los Angeles Jeanne Sullivan, Director, National Pass-Throughs Group, KPMG, Washington, D.C."

Transcription

1 Presenting a live 110 minute teleconference with interactive Q&A Passive Activity Loss Rules: Strategies for Pass Throughs to Maximize Deductions Leveraging Latest Federal Guidance and Rulings to Establish Material Participation WEDNESDAY, MAY 25, pm Eastern 12pm Central 11am Mountain 10am Pacific Today s faculty features: Sarah Staudenraus, Partner, Pass-Throughs and Special Industries Group, KPMG, Washington, D.C. Sandra Hernandez, Managing Director, WTAS, Los Angeles Jeanne Sullivan, Director, National Pass-Throughs Group, KPMG, Washington, D.C. For this program, attendees must listen to the audio over the telephone. Please refer to the instructions ed to the registrant for the dial-in information. Attendees can still view the presentation slides online. If you have any questions, please contact Customer Service at ext. 10.

2 Conference Materials If you have not printed the conference materials for this program, please complete the following steps: Click on the + sign next to Conference Materials in the middle of the left- hand column on your screen. Click on the tab labeled Handouts that appears, and there you will see a PDF of the slides for today's program. Double click on the PDF and a separate page will open. Print the slides by clicking on the printer icon.

3 Continuing Education Credits FOR LIVE EVENT ONLY Attendees must listen to the audio over the telephone. Attendees can still view the presentation slides online but there is no online audio for this program. Please refer to the instructions ed to the registrant for additional information. If you have any questions, please contact Customer Service at ext. 10.

4 Tips for Optimal Quality Sound Quality For this program, you must listen via the telephone by dialing and entering your PIN when prompted. There will be no sound over the web connection. o If you dialed in and have any difficulties during the call, press *0 for assistance. You may also send us a chat or sound@straffordpub.com immediately so we can address the problem. Viewing Quality To maximize your screen, press the F11 key on your keyboard. To exit full screen, press the F11 key again.

5 Strategies for Pass Throughs h to Maximize i Deductions Seminar May 25, 2011 Sarah Staudenraus, KPMG sarahstaudenraus@kpmg.com Jeanne Sullivan, KPMG jsullivan@kpmg.com Sandra Hernandez, WTAS LLC sandra.y.hernandez@wtascom

6 Today s Program Overview Of Passive Activity Loss Rules Re: Partners [Sarah Staudenraus, Jeanne Sullivan and Sandra Hernandez] Slide 7 Slide 33 Exceptions And Nuances In Sect. 469 [Sarah Staudenraus, Jeanne Sullivan and Sandra Hernandez] Slide 34 Slide 48 Reporting Requirements And The Latest Rev. Proc. [Sarah Staudenraus, Jeanne Sullivan and Sandra Hernandez] Slide 49 Slide 54

7 Sarah Staudenraus, KPMG Jeanne Sullivan, KPMG Sandra Hernandez, WTAS LLC OVERVIEW OF PASSIVE ACTIVITY LOSS RULES RE: PARTNERS

8 Notice ANY TAX ADVICE IN THIS COMMUNICATION IS NOT INTENDED OR WRITTEN BY THE PRESENTERS TO BE USED, AND CANNOT BE USED, BY A CLIENT OR ANY OTHER PERSON OR ENTITY FOR THE PURPOSE OF (i) AVOIDING PENALTIES THAT MAY BE IMPOSED ON ANY TAXPAYER OR (ii) PROMOTING, MARKETING OR RECOMMENDING TO ANOTHER PARTY ANY MATTERS ADDRESSED HEREIN. You (and your employees, representatives, or agents) may disclose to any and all persons, without limitation, the tax treatment or tax structure, or both, of any transaction described in the associated materials we provide to you, including, but not limited to, any tax opinions, memoranda, or other tax analyses contained in those materials. The information contained herein is of a general nature and based on authorities that are subject to change. Applicability of the information to specific situations should be determined through consultation with your tax adviser. 8

9 Dated Material THE MATERIAL CONTAINED IN THESE COURSE MATERIALS IS CURRENT AS OF THE DATE PRODUCED. THE MATERIALS HAVE NOT BEEN AND WILL NOT BE UPDATED TO INCORPORATE ANY TECHNICAL CHANGES TO THE CONTENT OR TO REFLECT ANY MODIFICATIONS TO A TAX SERVICE OFFERED SINCE THE PRODUCTION DATE. 9

10 Partner Loss Limitations: Significance Losses are subject to the following limitations: Partnership basis rules (Sect. 704(d)) At-risk rules (Sect. 465) Passive activity loss rules (Sect. 469) A taxpayer can never deduct more losses than the amount that flows through from the prior limit. 10

11 Partner Loss Limitations: Overview I. Basis limitations under Sect. 704(d) A. Limits a partner s deduction of partnership losses to outside adjusted tax basis B. Does not limit the allocation of losses II. At-risk limitations under Sect. 465 A. Limits losses from an activity to amount at-risk B. Partnership may have more than one activity III. Passive activity loss limitations under Sect. 469 A. Limits losses from passive activities to passive income from all sources 11

12 Loss Limitation Ordering Rule: Example Partner s outside basis in partnership interest $ 50,000 Partner s at-risk Limitation $ 35,000 Partner s share of partnership p losses (passive) $ (60,000) Partner s passive income (other sources) $ 25,000 Partner can deduct $(25,000) of passive loss on return calculated as follows: Loss Suspended Allowable Allowed 704(d) $(60,000) $(10,000) $(50,000) 465 $(50,000) $(15,000) $(35,000) 469 $(35,000) $(10,000) $(25,000) (25,000) 12

13 Overview I. Sect. 469 disallows a passive activity loss for the year, with one exception: A. Certain taxpayers may deduct up to $(25,000) passive activity loss for rental real estate activities. II. A passive activity loss is the amount by which the aggregate losses from all passive activities exceed aggregate g income from all passive activities. A. The purpose of Sect. 469 is to prevent taxpayers from using losses from passive activities to offset salary and investment income. B. The limitation is applied by each partner, not at the partnership level. 13

14 Types Of Income I. Sect. 469 divides income into three categories: II. 1. Active - Income from activities in which the taxpayer materially participates, including activities in which wages or salaries are earned 2. Portfolio Investment income such as annuities, royalties, interest, dividend, capital gains/losses, guaranteed payments for interest on capital 3. Passive - Income from activities in which the taxpayer does not materially participate Net income from each category is subject to tax. III. Net loss from passive activities is generally not currently deductible. A. Rental real estate allowance exception B. Oil and gas activity exception C. Suspended losses deductible on fully taxable disposition 14

15 What Is Non Passive Income? I. The following income is not considered d passive: A. Portfolio (investment) income B. Gain or loss from investment property C. Income from intangibles created by taxpayer D. Personal service income E. Income from a covenant not to compete F. Tax refunds G. Recharacterized income H. Activity of trading personal property for the accounts of owners of the activity 15

16 Suspended d Loss Carryovers I. Sect. 469 allows the deduction d of losses from passive activities iti to the extent of aggregate income from passive activities in the year. II. The excess aggregate loss (the passive activity loss ) is disallowed and carried forward. A. No limit on the carryforward B. Carried forward losses are treated as incurred in the following year. C. Suspended losses become non-passive on disposition of the activity. 16

17 Who Is Subject To Sect. 469? I. Individuals II. Estates and trusts III. Closely held C corporations A. Special rules: Passive losses may offset active income but not portfolio income. IV. Personal service corporations V. Partnerships and S corporations are not subject to Sect. 469 loss limitations. A. However, partners and shareholders may be subject to the rules with respect to their distributive share of partnership income/losses. 17

18 What Is A Passive Activity? i I. Any trade or business in which the taxpayer does not materially participate II. Most rental activities A. Special definition of rental B. For real estate professionals, a rental real estate activity in which taxpayer does not materially participate. 18

19 What Is A Rental Activity? i I. Rental activities iti for Sect. 469 do not include the following activities: 1. Short-term rentals where the average use is 7 days or less 2. Rentals where the average use is 30 days or less, and there are significant personal services 3. Rentals that involve extraordinary personal services (rental incident to services) 4. Incidental rentals 5. Non-exclusive use by customer 6. Property provided to flow-through entities 19

20 What Is An Activity? i I. Generally, an activity it is one or more business undertakings. A. Several business undertakings that together form an appropriate economic unit may constitute an activity, or B. A segregated g business undertaking may itself constitute t an activity. II. Determined based on all facts and circumstances III. Grouping is subject to certain parameters. 20

21 Why Is It Important To Define The Activity? I. Level of participation i determined d for each activity it A. It may be easier to meet material participation standard if separate undertakings are combined. II. Suspended loss is allowed upon the disposition of all or a substantial portion of an activity. A. May be easier to free up losses, if separate undertakings have not been combined as one activity III. Passive loss and credit carryovers are tracked separately for each activity. 21

22 Limitations On Grouping Activities I. Sect. 469 entities (partnerships, closely held C corp, S corp) II. 22 A. Must perform the first grouping of the entity s activities B. Taxpayers cannot treat activities grouped together by the Sect. 469 entity as separate, but may group that activity with other activities of the taxpayer. Taxpayers cannot group: A. Rental activities with other trade or business activities (with some exceptions) B. Real property rentals with personal property rentals (with some exceptions) C. Activities of limited partners and limited entrepreneurs (applies to motion pictures, farming, leasing, oil and gas, geothermal deposits)

23 Grouping Consistency Requirement I. Taxpayer may not regroup activities in subsequent years, unless the original grouping was clearly inappropriate or there has been a material change in facts. II. Commissioner may regroup if taxpayer s groupings fail to reflect appropriate economic units, and primary purpose was to circumvent Sect

24 Does Taxpayer Materially Participate? I. There are seven tests t for material participation i for nonlimited partners. 1. Taxpayer participated i t more than 500 hours 2. Taxpayer participation was substantially all of the hours 3. Participation was >100 hours and more than anyone else 4. Taxpayer s participation in significant participation activities exceeded 500 hours 5. Nickel and dime test (materially participated 5 of last 10 years) 6. Personal service activity (any 3 years) 7. Facts and circumstances test (and > 100 hours) 24

25 What Does It Mean To Participate? i I. Regular, continuous and substantial ti involvement II. Generally, any work in an activity done by an individual who owns an interest t in the activity it A. Includes spouse s participation III. Exceptions A. Work not customarily done by owners if principal purpose is avoidance of Sect. 469 B. Work done as an investor, unless involved in daily operations 25

26 Participation By Limited Partners I. Limited partners determine material participation using three of the tests. 1. Taxpayer participated more than 500 hours 2. Nickel and dime test (materially participated 5 of last 10 years) 3. Personal service activity (any 3 years) II. If limited partner also owns a general partner interest, then limited partner is treated as a general partner. III. What about LLC members? See Garnett, 132 T.C. 368 (2009); Thompson, 87 Fed. Cl. 728 (2009); Newell, TC Memo

27 Passive Activity Loss Limitations: Impact I. Passive losses are only deductible d against passive income. II. If there is an aggregate passive loss, then each passive loss is carried forward indefinitely. it III. $25,000 exception for active participation in rental real estate A. Phases out for income over $100,000 IV. Unused suspended losses are deductible upon a complete disposition in a taxable transaction. 27

28 Recharacterization i Of Net Income I. Gains from formerly non-passive activities II. Rental of non-depreciable propertyp III. Equity-financed lending activity IV. Licensing intangible property V. Incidental-to-development t d l t VI. Rentals to a related non-passive activity VII.Significant participation p activities (SPAs) 28

29 Significant ifi Participation i i Activities i i I. Taxpayer participates more than 100 hours (but less than 500 hours) in each of several trade or business activities, and total participation in such activities exceeds 500 hours. II. If passive gross income from all significant participation activities exceeds passive activity deductions from all such activities, a portion of the net passive income is treated as non-passive. 29

30 State Conformity? I. Taxpayers and preparers p must consider potential non- conformity to federal rules in any state in which they are required to file. II. Do not assume federal = state 30

31 State Conformity? (Cont.) I. How do states conform to IRC 469? A. General conformity to IRC 1. No mention of passive activity losses in statutes or regulations B. Specific conformity to IRC 469 C. Conformity with exceptions to IRC

32 State Conformity? (Cont.) I. Some states have their own version of passive activity loss rules (e.g., New Jersey and Pennsylvania). A. Classify income into various categories or baskets B. Losses from one category cannot offset another category 32

33 State Conformity? (Cont.) I. Additional issues to consider A. Resident vs. non-resident 1. Most states will allow a passive activity loss of a nonresident only if they are derived from or connected with sources within the state. B. Different filing status for state purposes 1. Is the loss clearly attributable to one spouse? 33

34 Sarah Staudenraus, KPMG Jeanne Sullivan, KPMG Sandra Hernandez, WTAS LLC EXCEPTIONS AND NUANCES IN SECT. 469

35 Effect On Medicare Contribution Tax (MCT) I. Beginning in 2013, a tax of 3.8% will apply to net investment income of individuals, estates and trusts (MCT). II. Net investment income includes: Portfolio-type income + Income from passive activities as defined in Sect Income from the trade or business of trading in financial instruments or commodities 35

36 Consider The Medicare Contribution Tax Grouping under Sect. 469 will affect whether trade or business activities are: Active (and excluded from the MCT), or Passive (and included for the MCT). Further, net passive losses will not reduce non-passive net investment income for purposes of the MCT. 36

37 Real Estate Professional Exception I. If a taxpayer qualifies as a real estate professional : A. Rental activities are not per se passive and A. The taxpayer can elect to group all rental activities as a single activity, for purposes of qualifying as materially participating in the rental activity. The election applies for all years in which the taxpayer is a real estate professional. 37

38 What Is A Real Estate Professional? I. Two-pronged test (each prong having sub-tests): 1. More than half of personal services performed in trades or businesses are performed in real property trades or businesses in which the taxpayer materially participates, and 2. Such taxpayer performs more than 750 hours of services in real property trades or businesses in which the taxpayer materially participates. 38

39 Real Property Trades Or Businesses I. Real property trade or business: Any real property development, redevelopment, construction, reconstruction, acquisition, conversion, rental, operation, management, leasing or brokerage trade or business A. What is a rental? Treas. Reg. Sect T(e)(3)(ii) B. Closely held C corp is in a real property trade or business if more than 50% of gross receipts are derived from real property trades or businesses in which the corporation materially participates. C. Services performed by an employee are not performed in real property trades or businesses unless performed by a 5% owner in the employer. 39

40 Real Estate Professional I. Recent cases on real estate professionals: Todd D. Bailey Jr., et ux. v. Commissioner, T.C. Summ. Op ); Bosque v. Commissioner, T.C. Memo A. The taxpayer (without counting spouse s hours) must materially participate in real estate trades or businesses for the required number of hours. B. If the real estate trade or business is rental, it must qualify as a rental activity (real estate rented for more than 7 days on average), and the taxpayer must establish material participation in the rental activity. C. An activity of leasing real estate for 7 days or less on average is not treated as a real estate trade or business, for this purpose. p 40

41 Self Charged Interest Rules I. If a taxpayer lends money to a partnership or S corp in which the taxpayer owns an interest, or vice versa, the taxpayer will have interest income and expense related to the loan. If the proceeds of the loan are used in a passive activity, there could be a mismatch between the passive deductions d generated and the portfolio interest t income from the loan. These are self-charged interest deductions that the regulations intend to allow to offset. The regulations also apply to guaranteed payments for the use of capital under Sect. 707(c). II. The regulations recharacterize the applicable percentage of the interest t income and/or the interest t expense as arising i from a passive activity. A. See Treas. Reg. Sect for calculations and examples 41

42 Self Charged Interest Rules: Example A $5,000 Interest Income $2,500 Interest Expense Loan PRS I. A lends money to a partnership (PRS) in which A owns a 50% interest. II. PRS pays A $5,000 interest and allocates $2,500 to A as an interest expense deduction allocable to a passive activity in Year 1. III. A s applicable percentage of the interest income is 50%, and $2,500 of A s interest income is recharacterized as income from a passive activity. IV. The balance of the interest income is portfolio income. 42

43 Former Passive Activities i i I. Losses from former passive activities may offset only income from the (now active) activity. The remaining suspended loss is allowed if the taxpayer disposes of the activity in a fully taxable transaction to an unrelated person. A. According to the House Committee Report, Revenue Reconciliation Act of 1993, if a taxpayer has a suspended passive loss (e.g. from rental activities) and qualifies as a real estate professional, then the suspended loss is treated as a loss from a former passive activity. B. Other situations include: 1. Contribution of the passive activity to a corporation 2. Closely held C corp no longer subject to Sect

44 Oh Other Special Rules I. Closely-held l ld C corporations A. Passive activity deductions can offset net active income. B. Any excess passive activity loss is suspended at the C corp level. C. Material participation: One or more shareholders holding more than 50% by value of stock must materially participate in the corporation s activity. 1. See also Sect. 465(c)(7)(C) for non-personal service corporations 44

45 Oh Other Special Rules (Cont.) I. Oil and gas interests t A. A working interest in an oil and gas property, which the taxpayer holds directly or through an entity that does not limit liability, is not a passive activity. II. Publicly traded partnerships (PTPs) A. Passive loss rules apply separately to each interest in a PTP (e.g., PTP losses can only offset income from such PTP). B. A complete disposition is a disposition of the entire interest in partnership. 45

46 Disposition Of Passive Activity By Sale Or Exchange Type Of Disposition General Treatment Fully taxable disposition with an Suspended losses are deductible. unrelated party Fullytaxable disposition with a Losses remain suspended until the activity is related party acquired by an unrelated party. Disposition in a non recognition transaction In general, suspended losses attach to the replacement activity. Installment sale Suspended losses recognized in same ratio as gain is recognized Partial disposition, fully taxable, Generally losses remain suspended. If unrelated party disposition is substantially all of activity, a portion of losses may be deductible. Death of taxpayer py Suspended losses in excess of the basis step up, if any, are deductible in the final year. 46

47 Disposition Of Passive Activity By Sale Or Exchange (Cont.) Type Of Disposition Gift Divorce Distribution by trustor estate General Treatment Suspended losses are eliminated for the donor, but added to the basis donee takes in property. Suspended losses are eliminated for the forfeiting spouse, but are added to the basis recipient spouse takes in property. Suspended losses not deductible by estate/trust. Basis of activity is increased by suspended losses immediately before distribution. 47

48 State Conformity Nuances I. In California, IRC 469(c)(7) does not apply (CTRC 17561). A. The election to aggregate rental real estate holdings is not available. B. All rental activities are treated as passive. II. Passive activity loss limitations can affect state modifications. A. In Maine, depreciation adjustments are limited in the same ratio limited for federal 48

49 Sarah Staudenraus, KPMG Jeanne Sullivan, KPMG Sandra Hernandez, WTAS LLC REPORTING REQUIREMENTS AND THE LATEST REV. PROC.

50 Passive Activity Loss Grouping: Rev. Proc Grouping Disclosures I. Individuals: id For tax years beginning i on or after Jan. 25, 2010, Rev. Proc requires written annual return disclosures: 1. In the first year in which two or more passive activities are grouped as a single activity 2. In a year in which a passive activity is added to the grouping 3. In a year in which the taxpayer determines that the original grouping was clearly inappropriate or there has been a material change in the facts and circumstances that t makes the original i grouping clearly inappropriate. II. However, a partner or S corporation shareholder need not make any additional disclosures unless the partner/shareholder groups the Sect. 469 entity s activities that were not grouped by the entity, or groups an activity of the Sect. 469 entity with other activities conducted directly (or indirectly through other Sect. 469 entities). 50

51 Passive Activity Loss Grouping: Rev. Proc Grouping Disclosures (Cont.) I. Sect. 469 entities: Annual activity grouping disclosures required in accordance with the instructions for forms 1065 and 1120(S) II. Forms require separate activity reporting: 17 items required for each activity III. Does reporting net income/loss on Schedule K, Line 1 amount to a grouping or not? 51

52 Passive Activity Loss Grouping: Rev. Proc Grouping (Cont.) I. Grandfather rule for individual taxpayer groupings prior to the effective date of Rev. Proc need not be disclosed unless the individual taxpayer: A. Adds a new passive activity to the group, B. Determines that the original grouping was clearly inappropriate, or C. Determines there has been a material change to the facts and circumstances that makes the original grouping clearly inappropriate. II. Grandfather rule does not appear to be applicable to partnership disclosures. 52

53 Passive Activity Loss Grouping: Rev. Proc Grouping (Cont.) I. If a taxpayer fails to disclose a grouping that is required to be disclosed under Rev. Proc , then each trade or business will be treated as a separate activity (unless the IRS regroups under anti-avoidance rule of Treas. Reg. Sect (f)). A. Does this rule also apply to partnerships? 53

54 State Reporting I. In California, as IRC 469(c)(7) does not apply, rental real estate holdings can not be aggregated and must be separately tracked. II. Taxpayer aggregating multi-state properties A. Issues upon disposition III. State ramifications are not always identical to federal. 54

Attendees seeking CPE credit must listen to the audio over the telephone.

Attendees seeking CPE credit must listen to the audio over the telephone. Presenting a live 110 minute teleconference with interactive Q&A New 3.8% Net Investment Income Tax: Planning for Closely Held Companies Navigating New Medicare Tax, Self Employment l Tax, and Capital

More information

Private Investment Funds and Tax Reform

Private Investment Funds and Tax Reform Presenting a live 90-minute webinar with interactive Q&A Private Investment Funds and Tax Reform Carried Interest, QBI and Interest Deductions, Sale of Partnership Interests, Computation of UBTI, and More

More information

Scott J. Bakal, Partner, Neal Gerber & Eisenberg, Chicago Robert C. Stevenson, Attorney, Skadden Arps Slate Meagher & Flom, Washington, D.C.

Scott J. Bakal, Partner, Neal Gerber & Eisenberg, Chicago Robert C. Stevenson, Attorney, Skadden Arps Slate Meagher & Flom, Washington, D.C. Presenting a live 90-minute webinar with interactive Q&A : Tax Basis Step-Up Through Deemed Asset Sale Treatment Structuring Qualifying Stock Dispositions for Partnership and Private Equity Acquirers WEDNESDAY,

More information

New Section 199A: Structuring Real Estate Transactions to Take Advantage of the Qualified Business Income Deduction

New Section 199A: Structuring Real Estate Transactions to Take Advantage of the Qualified Business Income Deduction Presenting a 90-minute encore presentation featuring live Q&A New Section 199A: Structuring Real Estate Transactions to Take Advantage of the Qualified Business Income Deduction THURSDAY, JANUARY 17, 2019

More information

Mastering Form 8937 and Section 6045B:

Mastering Form 8937 and Section 6045B: Presenting a live 110 minute teleconference with interactive Q&A Mastering Form 8937 and Section 6045B: An Ongoing Obligation Complying With Reporting Requirements Arising From Activities Affecting Tax

More information

Leveraging Earnings-Stripping Regs for Foreign Investments: Maximizing Tax Savings, Minimizing IRS Scrutiny

Leveraging Earnings-Stripping Regs for Foreign Investments: Maximizing Tax Savings, Minimizing IRS Scrutiny Presenting a live 110-minute teleconference with interactive Q&A Leveraging Earnings-Stripping Regs for Foreign Investments: Maximizing Tax Savings, Minimizing IRS Scrutiny THURSDAY, FEBRUARY 6, 2014 1pm

More information

IRC Section 338(h)(10) Election

IRC Section 338(h)(10) Election Presenting a live 110 minute teleconference with interactive Q&A IRC Section 338(h)(10) Election Strategies for Tax Counsel Leveraging the Election in Structuring Acquisitions, Dispositions and Asset and

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Brian E. Hammell, Esq., Sullivan & Worcester, Boston

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Brian E. Hammell, Esq., Sullivan & Worcester, Boston Presenting a live 90-minute webinar with interactive Q&A Buy-Sell Agreements for Corporations and LLCs: Drafting Stock Redemption, Cross-Purchase and Mixed Agreements Navigating Complex Corporate, Tax,

More information

Presenting a live 110-minute teleconference with interactive Q&A

Presenting a live 110-minute teleconference with interactive Q&A Presenting a live 110-minute teleconference with interactive Q&A Valuation Challenges With $10 Million-and-Under Businesses Avoiding Mistakes With Built-In Gains and Taxes, Misuse of Market Data and Other

More information

Asset Sale vs. Stock Sale: Tax Considerations, Advanced Drafting and Structuring Techniques for Tax Counsel

Asset Sale vs. Stock Sale: Tax Considerations, Advanced Drafting and Structuring Techniques for Tax Counsel Presenting a live 90-minute webinar with interactive Q&A Asset Sale vs. Stock Sale: Tax Considerations, Advanced Drafting and Structuring Techniques for Tax Counsel TUESDAY, AUGUST 2, 2016 1pm Eastern

More information

Tax Allocation in Pass-Through Entities

Tax Allocation in Pass-Through Entities Presenting a live 110-minute teleconference with interactive Q&A Tax Allocation in Pass-Through Entities Minimizing Tax Impact Through Strategic Allocation of Income, Gains, Losses and Liabilities THURSDAY,

More information

Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences

Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences Presenting a live 110-minute webinar with interactive Q&A Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences THURSDAY,

More information

Presenting a live 110-minute teleconference with interactive Q&A. Today s faculty features:

Presenting a live 110-minute teleconference with interactive Q&A. Today s faculty features: Presenting a live 110-minute teleconference with interactive Q&A State Corporate Income Apportionment Key Fundamentals Understanding Trends and State Approaches to Factor Weighting, Service Revenue, Joyce

More information

Tax Reform for Pass-Through Entities: Impact of New Tax Law on Partnerships, LLCs and S-Corporations

Tax Reform for Pass-Through Entities: Impact of New Tax Law on Partnerships, LLCs and S-Corporations Presenting a live 90-minute webinar with interactive Q&A Tax Reform for Pass-Through Entities: Impact of New Tax Law on Partnerships, LLCs and S-Corporations Planning Techniques, Loopholes, Qualified Business

More information

Single Sales Apportionment:

Single Sales Apportionment: Presenting a live 110 minute teleconference with interactive Q&A Single Sales Apportionment: Crafting a Multi State Strategy Meeting Tax Compliance and Planning Demands Amid Significant Changes in Sales

More information

Subpart F Income: Navigating the Revised Branch and Contract Manufacturing Rules

Subpart F Income: Navigating the Revised Branch and Contract Manufacturing Rules Presenting a live 110 minute teleconference with interactive Q&A Subpart F Income: Navigating the Revised Branch and Contract Manufacturing Rules WEDNESDAY, JUNE 20, 2012 1pm Eastern 12pm Central 11am

More information

Foreign Investment in U.S. Real Estate: Impact of Tax Reform

Foreign Investment in U.S. Real Estate: Impact of Tax Reform Presenting a live 90-minute webinar with interactive Q&A Foreign Investment in U.S. Real Estate: Impact of Tax Reform Entity Selection, FIRPTA, Tax Concerns When Acquiring or Disposing of Ownership Interests

More information

Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences

Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences Presenting a live 90-minute webinar with interactive Q&A Structuring Equity Compensation for Partnerships and LLCs Navigating Capital and Profits Interests Plus Section 409A and Tax Consequences TUESDAY,

More information

Form W 8BEN and W 9 Compliance in

Form W 8BEN and W 9 Compliance in Presenting a live 110 minute teleconference with interactive Q&A Form W 8BEN and W 9 Compliance in Foreign and US U.S. Business Transactions Avoiding Traps With Unnecessary Back Up Withholding or Invalid

More information

401(k) Plan Audit Preparation Strategies Navigating IRS and DOL Standards, Taking Corrective Actions and Minimizing Risks of Penalties

401(k) Plan Audit Preparation Strategies Navigating IRS and DOL Standards, Taking Corrective Actions and Minimizing Risks of Penalties Presenting a live 110 minute teleconference with interactive Q&A 401(k) Plan Audit Preparation Strategies Navigating IRS and DOL Standards, Taking Corrective Actions and Minimizing Risks of Penalties WEDNESDAY,

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Tax Reform: Impact on REITs, Real Estate Businesses and Investors Pass-Through Business and Interest Deductions, Cost Recovery, Carried Interest,

More information

Survivor Benefit Plans and Military Divorce: Defending Against or Claiming Former-Spouse SBP Coverage

Survivor Benefit Plans and Military Divorce: Defending Against or Claiming Former-Spouse SBP Coverage Presenting a live 90-minute webinar with interactive Q&A Survivor Benefit Plans and Military Divorce: Defending Against or Claiming Former-Spouse SBP Coverage WEDNESDAY, JUNE 28, 2017 1pm Eastern 12pm

More information

QDRO Drafting Boot Camp: Preparing QDROs for 401(k)s and Similar Defined Contribution Plans

QDRO Drafting Boot Camp: Preparing QDROs for 401(k)s and Similar Defined Contribution Plans Presenting a live 90-minute webinar with interactive Q&A QDRO Drafting Boot Camp: Preparing QDROs for 401(k)s and Similar Defined Contribution Plans Strategies for Family Law Practitioners to Help Ensure

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Grantor Trusts After Divorce: Tax Reform, Fiduciary Challenges, and Minimizing Tax for Trust Transfers to Former Spouse Gift Tax Exemption on Divorce

More information

Reporting Costs of Health Insurance on Employee W-2s: New Requirements

Reporting Costs of Health Insurance on Employee W-2s: New Requirements Presenting a live 110-minute teleconference with interactive Q&A Reporting Costs of Health Insurance on Employee W-2s: New Requirements Mastering the Procedures for Disclosing and Valuing Coverage Starting

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Choice of Entity Under the New Tax Law: Avoiding Tax Pitfalls in Operations, Ownership Changes, Exit Strategies Capital vs. Profits Interest, Allowable

More information

Universal Health Services v. Escobar: Avoiding Implied Certification Liability Under FCA

Universal Health Services v. Escobar: Avoiding Implied Certification Liability Under FCA Presenting a live 30-minute webinar with interactive Q&A Universal Health Services v. Escobar: Avoiding Implied Certification Liability Under FCA MONDAY, JULY 25, 2016 1pm Eastern 12pm Central 11am Mountain

More information

Presenting a 90-minute encore presentation featuring live Q&A. Today s faculty features:

Presenting a 90-minute encore presentation featuring live Q&A. Today s faculty features: Presenting a 90-minute encore presentation featuring live Q&A New Section 199A: Deductions, Limitations, Complexities and Opportunities for Pass-Through Entities Determining Qualified Business Income,

More information

Commercial Lease Negotiations: Property and Liability Insurance, Proof of Coverage, AI and Loss Payee Issues

Commercial Lease Negotiations: Property and Liability Insurance, Proof of Coverage, AI and Loss Payee Issues Presenting a live 90-minute webinar with interactive Q&A Commercial Lease Negotiations: Property and Liability Insurance, Proof of Coverage, AI and Loss Payee Issues Structuring Lease Provisions to Require

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Structuring and Operating Family Limited Partnerships: Asset Protection and Income Tax Reduction Shifting Income Tax Burden to Lower-Taxed Family

More information

Tax Reporting and Reconciliation of Hedge Fund and Other Alternative Investment Fund K-1s

Tax Reporting and Reconciliation of Hedge Fund and Other Alternative Investment Fund K-1s Tax Reporting and Reconciliation of Hedge Fund and Other Alternative Investment Fund K-1s Navigating Footnotes and Tying Information to the Tax Return MAY 21, 2015, 1:00-2:50 pm Eastern IMPORTANT INFORMATION

More information

Procurement Cards and Sales Tax Compliance: Mastering the Complexities

Procurement Cards and Sales Tax Compliance: Mastering the Complexities Presenting a live 110-minute teleconference with interactive Q&A Procurement Cards and Sales Tax Compliance: Mastering the Complexities WEDNESDAY, MAY 30, 2012 1pm Eastern 12pm Central 11am Mountain 10am

More information

Section 704, Targeted Allocations, and the Distribution Waterfall: Overcoming Challenges Absent IRS Guidance

Section 704, Targeted Allocations, and the Distribution Waterfall: Overcoming Challenges Absent IRS Guidance Section 704, Targeted Allocations, and the Distribution Waterfall: Overcoming Challenges Absent IRS Guidance Understanding the Economic Effect Test and How to Allocate Income or Loss Using Targeted Allocations

More information

ERISA Retirement Plan Investment Management Agreements: Guidance for Plan Sponsors to Minimize Risks

ERISA Retirement Plan Investment Management Agreements: Guidance for Plan Sponsors to Minimize Risks Presenting a live 90-minute webinar with interactive Q&A ERISA Retirement Plan Investment Management Agreements: Guidance for Plan Sponsors to Minimize Risks Selecting 3(38) Investment Managers, Negotiating

More information

Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors

Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors Presenting a live 90-minute webinar with interactive Q&A Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors THURSDAY, JANUARY 26, 2017 1pm Eastern

More information

Completion Guaranties in Construction Lending: Key Provisions for Lenders and Guarantors

Completion Guaranties in Construction Lending: Key Provisions for Lenders and Guarantors Presenting a live 90-minute webinar with interactive Q&A Completion Guaranties in Construction Lending: Key Provisions for Lenders and Guarantors TUESDAY, MARCH 6, 2018 1pm Eastern 12pm Central 11am Mountain

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A NING and DING Trusts in Estate Planning: Designing ING Trusts to Avoid State Income Tax and Protect Assets Effective Drafting of Incomplete Gift

More information

Drop Shipments and Sales Tax Navigating Varying State Policies on Registrations and Exemptions

Drop Shipments and Sales Tax Navigating Varying State Policies on Registrations and Exemptions Presenting a live 110 minute teleconference with interactive Q&A Drop Shipments and Sales Tax Navigating Varying State Policies on Registrations and Exemptions THURSDAY, JUNE 9, 2011 1pm Eastern 12pm Central

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Keys To Equity Financing: The Compliance Requirements for Lenders and Borrowers Structuring Loans Secured by Stock, Hedge Fund Shares, 40 Act Companies

More information

Executive Compensation: Tax and Other Considerations for Restricted Stock Awards

Executive Compensation: Tax and Other Considerations for Restricted Stock Awards Presenting a live 90-minute webinar with interactive Q&A Executive Compensation: Tax and Other Considerations for Restricted Stock Awards Strategies for Navigating Substantial Risk of Forfeiture Analysis,

More information

Grantor Retained Annuity Trusts in 2013: Tax-Efficient Estate Planning Techniques Leveraging GRATs to Preserve and Transfer Assets

Grantor Retained Annuity Trusts in 2013: Tax-Efficient Estate Planning Techniques Leveraging GRATs to Preserve and Transfer Assets Presenting a live 90-minute webinar with interactive Q&A Grantor Retained Annuity Trusts in 2013: Tax-Efficient Estate Planning Techniques Leveraging GRATs to Preserve and Transfer Assets WEDNESDAY, MARCH

More information

Structuring Leveraged Loans After Tax Reform: Concerns for Multinational Entities

Structuring Leveraged Loans After Tax Reform: Concerns for Multinational Entities Presenting a live 90-minute webinar with interactive Q&A : Concerns for Multinational Entities Section 956 Deemed Dividend Rules, Limits on Interest Deductions, Tax Distributions, Corporate vs. Pass-Through

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Dean C. Berry, Partner, Cadwalader Wickersham & Taft, New York

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Dean C. Berry, Partner, Cadwalader Wickersham & Taft, New York Presenting a live 90-minute webinar with interactive Q&A Estate Planning Involving Resident and Non-Resident Aliens Navigating Estate, Gift and GST Tax Rules; Leveraging Estate and Lifetime Gifting Opportunities

More information

Form 8903 Compliance Challenges in Making Accurate Determinations and Calculations for the Domestic Production Activities Deduction

Form 8903 Compliance Challenges in Making Accurate Determinations and Calculations for the Domestic Production Activities Deduction Presenting a live 110-minute teleconference with interactive Q&A Form 8903 Compliance Challenges in Making Accurate Determinations and Calculations for the Domestic Production Activities Deduction THURSDAY,

More information

Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors

Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors Presenting a live 90-minute webinar with interactive Q&A Using Partnership Flips to Finance Renewable Energy Projects: Evaluating Tax Risks, Navigating IRS Safe Harbors THURSDAY, JULY 26, 2018 1pm Eastern

More information

Indirect Cost Rate Development for Non-Profits Navigating Accounting Standards and Best Practices to Calculate and Assign Expenses

Indirect Cost Rate Development for Non-Profits Navigating Accounting Standards and Best Practices to Calculate and Assign Expenses Presenting a live 110-minute teleconference with interactive Q&A Indirect Cost Rate Development for Non-Profits Navigating Accounting Standards and Best Practices to Calculate and Assign Expenses TUESDAY,

More information

Clearing Title for Defects Due to Mortgage-Related Issues, Legal Description Errors, and Foreclosure

Clearing Title for Defects Due to Mortgage-Related Issues, Legal Description Errors, and Foreclosure Presenting a live 90-minute webinar with interactive Q&A Clearing Title for Defects Due to Mortgage-Related Issues, Legal Description Errors, and Foreclosure Identifying and Resolving Common Title Defects

More information

Private Equity Real Estate Fund Formation: Capital Raising, Regulatory Issues and Negotiating Trends

Private Equity Real Estate Fund Formation: Capital Raising, Regulatory Issues and Negotiating Trends Presenting a live 90-minute webinar with interactive Q&A Private Equity Real Estate Fund Formation: Capital Raising, Regulatory Issues and Negotiating Trends Capital Contributions, Allocation of Profits/Losses,

More information

Final IRS Sect. 67(e) Regs for Estate and Trust Taxpayers: Applying the Required 2% Deduction Floor

Final IRS Sect. 67(e) Regs for Estate and Trust Taxpayers: Applying the Required 2% Deduction Floor Final IRS Sect. 67(e) Regs for Estate and Trust Taxpayers: Applying the Required 2% Deduction Floor WEDNESDAY, OCTOBER 15, 2014, 1:00-2:50 pm Eastern IMPORTANT INFORMATION This program is approved for

More information

Developing Indirect Cost Rates for Non Profits: Practical Approaches

Developing Indirect Cost Rates for Non Profits: Practical Approaches Presenting a live 110 minute teleconference with interactive Q&A Developing Indirect Cost Rates for Non Profits: Practical Approaches WEDNESDAY, JUNE 6, 2012 1pm Eastern 12pm Central 11am Mountain 10am

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Qualified Opportunity Zones: New Tax Incentives for Commercial Real Estate and Other Investments Deferred Capital Gains and Tax Abatement Under

More information

M&A Indemnification Deal Terms: 2017 Survey Results

M&A Indemnification Deal Terms: 2017 Survey Results Presenting a 60-minute encore presentation featuring live Q&A M&A Indemnification Deal Terms: 2017 Survey Results What's Market for Negotiating and Drafting Private Target Company Indemnification Terms

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Transactional Risk Insurance in M&A: Reps and Warranties, Contingent Liability and More Leveraging Insurance to Allocate Risk and Protect Deal Value;

More information

Using Inverted Leases to Finance Renewable Energy Projects

Using Inverted Leases to Finance Renewable Energy Projects Presenting a live 90-minute webinar with interactive Q&A Using Inverted Leases to Finance Renewable Energy Projects Evaluating Tax Risks, Navigating Structural Variations, Leveraging Pass-Through Election

More information

Presenting a live 110-minute teleconference with interactive Q&A. Today s faculty features:

Presenting a live 110-minute teleconference with interactive Q&A. Today s faculty features: Presenting a live 110-minute teleconference with interactive Q&A Taxation and Financial Reporting of Investments in Securities and Related Complex Transactions Tackling Financial Statement Challenges and

More information

Property Management and Leasing Agreements: Key Provisions for Multi-Family, Office, Retail and Industrial Properties

Property Management and Leasing Agreements: Key Provisions for Multi-Family, Office, Retail and Industrial Properties Presenting a live 90-minute webinar with interactive Q&A Property Management and Leasing Agreements: Key Provisions for Multi-Family, Office, Retail and Industrial Properties Navigating Fees and Expenses,

More information

Estate Planning and Tax Reform: Wealth Transfer Structures Under the New Tax Law

Estate Planning and Tax Reform: Wealth Transfer Structures Under the New Tax Law Presenting a live 90-minute webinar with interactive Q&A Estate Planning and Tax Reform: Wealth Transfer Structures Under the New Tax Law WEDNESDAY, FEBRUARY 7, 2018 1pm Eastern 12pm Central 11am Mountain

More information

U.S.-Israeli Estate Tax Planning for Dual Citizens

U.S.-Israeli Estate Tax Planning for Dual Citizens Presenting a 90-Minute Encore Presentation of the Webinar with Live, Interactive Q&A U.S.-Israeli Estate Tax Planning for Dual Citizens Reconciling U.S. and Israeli Law on Trust Taxation, Inheritance Laws,

More information

Bank Affiliate Transactions Under Scrutiny Complying With Regulation W's Complex Restrictions on Business Dealings with Affiliate Institutions

Bank Affiliate Transactions Under Scrutiny Complying With Regulation W's Complex Restrictions on Business Dealings with Affiliate Institutions Presenting a live 90-minute webinar with interactive Q&A Bank Affiliate Transactions Under Scrutiny Complying With Regulation W's Complex Restrictions on Business Dealings with Affiliate Institutions TUESDAY,

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: James O. Lang, Shareholder, Greenberg Traurig, Tampa, Fla.

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: James O. Lang, Shareholder, Greenberg Traurig, Tampa, Fla. Presenting a live 90-minute webinar with interactive Q&A Leveraging New Markets Tax Credits to Finance Community Development: Latest Regs, Guidance and Legal Developments Twinning With Historic Tax Credits,

More information

Impact of Tax Reform on ABLE Accounts and Special Needs Trusts: Guidance for Elder Law Attorneys

Impact of Tax Reform on ABLE Accounts and Special Needs Trusts: Guidance for Elder Law Attorneys Presenting a live 90-minute webinar with interactive Q&A Impact of Tax Reform on ABLE Accounts and Special Needs Trusts: Guidance for Elder Law Attorneys THURSDAY, SEPTEMBER 27, 2018 1pm Eastern 12pm Central

More information

Reporting Uncertain Tax Positions:

Reporting Uncertain Tax Positions: Presenting a live 110 minute teleconference with interactive Q&A Reporting Uncertain Tax Positions: Responding to Latest IRS Guidance Making Complex Compliance Decisions With Schedule UTP Under Final Regs

More information

Protecting Business Assets From Creditors in Litigation: Strategic Choice of Entities, Avoiding Fraudulent Transfers

Protecting Business Assets From Creditors in Litigation: Strategic Choice of Entities, Avoiding Fraudulent Transfers Presenting a live 90-minute webinar with interactive Q&A Protecting Business Assets From Creditors in Litigation: Strategic Choice of Entities, Avoiding Fraudulent Transfers TUESDAY, JULY 21, 2015 1pm

More information

Uninsured and Underinsured Motorist Claims: Leveraging Insurance Stacking

Uninsured and Underinsured Motorist Claims: Leveraging Insurance Stacking Presenting a live 90-minute webinar with interactive Q&A Uninsured and Underinsured Motorist Claims: Leveraging Insurance Stacking Maximizing Settlement Awards in Auto Accident Cases THURSDAY, DECEMBER

More information

UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests

UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests Presenting a live 90-minute webinar with interactive Q&A UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests Navigating Statutory, Contractual and Other Exclusions to All

More information

Securities Accounts and Other Investment Property Establishing Control Under the UCC to Perfect Security Interests in Special Collateral Types

Securities Accounts and Other Investment Property Establishing Control Under the UCC to Perfect Security Interests in Special Collateral Types Presenting a live 90 minute webinar with interactive Q&A Perfecting Security Interests in Deposit Accounts, Securities Accounts and Other Investment Property Establishing Control Under the UCC to Perfect

More information

UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests

UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests Presenting a live 90-minute webinar with interactive Q&A UCC Article 9 Blanket Asset Lien Exclusions and Purchase Money Security Interests Navigating Statutory, Contractual and Other Exclusions to All

More information

Exercising Setoff and Recoupment Rights in Bankruptcy

Exercising Setoff and Recoupment Rights in Bankruptcy Presenting a live 90-minute webinar with interactive Q&A Exercising Setoff and Recoupment Rights in Bankruptcy Mutuality of Obligation; Disputed Transactions; Relief From Automatic Stay TUESDAY, NOVEMBER

More information

Reverse Audits for Corporate Taxpayers: Best Practices for Identifying Sales Tax Refunds

Reverse Audits for Corporate Taxpayers: Best Practices for Identifying Sales Tax Refunds Presenting a live 110-minute teleconference with interactive Q&A Reverse Audits for Corporate Taxpayers: Best Practices for Identifying Sales Tax Refunds THURSDAY, DECEMBER 13, 2012 1pm Eastern 12pm Central

More information

Fraudulent Conveyance Exposure for Intercorporate Guaranties, Integrated Transactions and Designated-Use Loans

Fraudulent Conveyance Exposure for Intercorporate Guaranties, Integrated Transactions and Designated-Use Loans Presenting a live 90-minute webinar with interactive Q&A Fraudulent Conveyance Exposure for Intercorporate Guaranties, Integrated Transactions and Designated-Use Loans Navigating the Contours of Section

More information

Financing Multi-Family Housing: Structuring the Low Income House Tax Credit and Tax-Exempt Bonds Documenting Transactions for Investors and Developers

Financing Multi-Family Housing: Structuring the Low Income House Tax Credit and Tax-Exempt Bonds Documenting Transactions for Investors and Developers Presenting a live 90-minute webinar with interactive Q&A Financing Multi-Family Housing: Structuring the Low Income House Tax Credit and Tax-Exempt Bonds Documenting Transactions for Investors and Developers

More information

Innocent Spouse Relief Under IRC Section 6015 Navigating New Tax Rules to Avoid Liability for Divorced, Widowed or Married Clients

Innocent Spouse Relief Under IRC Section 6015 Navigating New Tax Rules to Avoid Liability for Divorced, Widowed or Married Clients Presenting a live 110-minute teleconference with interactive Q&A Innocent Spouse Relief Under IRC Section 6015 Navigating New Tax Rules to Avoid Liability for Divorced, Widowed or Married Clients TUESDAY,

More information

Revised Federal Forms 940, 941 and W-9 and Interactions With SUTA Forms

Revised Federal Forms 940, 941 and W-9 and Interactions With SUTA Forms Presenting a live 110-minute teleconference with interactive Q&A Revised Federal Forms 940, 941 and W-9 and Interactions With SUTA Forms Unemployment and Employment Tax Update and Compliance Lessons THURSDAY,

More information

401(k) Plan Nondiscrimination Testing: Guidance for Employee Benefits Counsel

401(k) Plan Nondiscrimination Testing: Guidance for Employee Benefits Counsel Presenting a live 90-minute webinar with interactive Q&A 401(k) Plan Nondiscrimination Testing: Guidance for Employee Benefits Counsel Meeting IRS Requirements, Avoiding Corrective Distributions, Evaluating

More information

Tax Challenges for NPO Counsel: Excess Benefit Transactions for Executive Comp and Other Financial Dealings

Tax Challenges for NPO Counsel: Excess Benefit Transactions for Executive Comp and Other Financial Dealings Presenting a live 110-minute teleconference with interactive Q&A Tax Challenges for NPO Counsel: Excess Benefit Transactions for Executive Comp and Other Financial Dealings Identifying Prohibited Transactions

More information

New Reporting Demands Meeting Challenges with Broader 1099 MISC Reporting, New 1099 K and Other Changes

New Reporting Demands Meeting Challenges with Broader 1099 MISC Reporting, New 1099 K and Other Changes Presenting a live 110 minute webinar with interactive Q&A Form 1099: Preparing for Significant New Reporting Demands Meeting Challenges with Broader 1099 MISC Reporting, New 1099 K and Other Changes THURSDAY,

More information

Leveraging Final Sect. 336(e) Regulation Benefits in Acquisitions and Corporate Spin-Offs

Leveraging Final Sect. 336(e) Regulation Benefits in Acquisitions and Corporate Spin-Offs Presenting a live 110-minute teleconference with interactive Q&A Leveraging Final Sect. 336(e) Regulation Benefits in Acquisitions and Corporate Spin-Offs THURSDAY, AUGUST 22, 2013 1pm Eastern 12pm Central

More information

Opinion Letters in Commercial Real Estate Best Practices to Minimize Risk When Crafting Third Party Opinions on Loans and Acquisitions

Opinion Letters in Commercial Real Estate Best Practices to Minimize Risk When Crafting Third Party Opinions on Loans and Acquisitions Presenting a live 90 minute webinar with interactive Q&A Opinion Letters in Commercial Real Estate Best Practices to Minimize Risk When Crafting Third Party Opinions on Loans and Acquisitions TUESDAY,

More information

Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations and Distributions, and More

Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations and Distributions, and More Presenting a live 90-minute webinar with interactive Q&A Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations and Distributions, and More TUESDAY, APRIL 3, 2018 1pm

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Equity Joint Ventures: Structuring Capital Contribution, Waterfall and Other Payment Provisions Promoted Interest, Carried Interest, Cash Flow Splits

More information

Advanced Tax Issues in Entity Selection Choosing the Entity to Meet the Client's Business Strategies and Capital and Compensation Structures

Advanced Tax Issues in Entity Selection Choosing the Entity to Meet the Client's Business Strategies and Capital and Compensation Structures Presenting a live 90 minute webinar with interactive Q&A Advanced Tax Issues in Entity Selection Choosing the Entity to Meet the Client's Business Strategies and Capital and Compensation Structures TUESDAY,

More information

Allocating Operating Expenses in Commercial Real Estate Leases: Negotiating Strategies for Landlords and Tenants

Allocating Operating Expenses in Commercial Real Estate Leases: Negotiating Strategies for Landlords and Tenants Presenting a live 90-minute webinar with interactive Q&A Allocating Operating Expenses in Commercial Real Estate Leases: Negotiating Strategies for Landlords and Tenants Structuring Pass-Throughs, Exclusions,

More information

Insurance Coverage for Statutory and Liquidated Damages and Attorney Fees: Policyholder and Insurer Perspectives

Insurance Coverage for Statutory and Liquidated Damages and Attorney Fees: Policyholder and Insurer Perspectives Presenting a live 90-minute webinar with interactive Q&A Insurance Coverage for Statutory and Liquidated Damages and Attorney Fees: Policyholder and Insurer Perspectives Advocating Coverage for Statutory

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A D&O Indemnification Provisions in Governance Documents and Agreements Drafting Effective Indemnity and Advancement Agreements to Protect Directors

More information

Estate Planning With Grantor Trusts: Leveraging GRATs and IDGTs to Minimize Taxes, Preserve and Transfer Assets

Estate Planning With Grantor Trusts: Leveraging GRATs and IDGTs to Minimize Taxes, Preserve and Transfer Assets Presenting a live 90-minute webinar with interactive Q&A Estate Planning With Grantor Trusts: Leveraging GRATs and IDGTs to Minimize Taxes, Preserve and Transfer Assets THURSDAY, OCTOBER 15, 2015 1pm Eastern

More information

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features:

Presenting a live 90-minute webinar with interactive Q&A. Today s faculty features: Presenting a live 90-minute webinar with interactive Q&A Special Needs Trusts and Guardianships: Protecting Government Benefits for the Disabled Crafting and Administering First- and Third-Party Trusts

More information

Private Equity Waterfall and Carried Interest Provisions: Economic and Tax Implications for Investors and Sponsors

Private Equity Waterfall and Carried Interest Provisions: Economic and Tax Implications for Investors and Sponsors Presenting a live 90-minute Encore Presentation of the Webinar with Live, Interactive Q&A Private Equity Waterfall and Carried Interest Provisions: Economic and Tax Implications for Investors and Sponsors

More information

Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations, Distributions, and More

Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations, Distributions, and More Presenting a live 90-minute webinar with interactive Q&A Tax Strategies for Real Estate LLC and LP Agreements: Capital Commitments, Tax Allocations, Distributions, and More Structuring Provisions to Achieve

More information

Interest Rate Hedges in Real Estate Finance: Placing Swaps, Caps, and Collars on Floating Rate Loans

Interest Rate Hedges in Real Estate Finance: Placing Swaps, Caps, and Collars on Floating Rate Loans Presenting a live 90-minute webinar with interactive Q&A Interest Rate Hedges in Real Estate Finance: Placing Swaps, Caps, and Collars on Floating Rate Loans Understanding Pricing and Trade Confirmations,

More information

Minority Investors in LLCs: Contractual Limitations, Waivers of Fiduciary Duties, Other Key Provisions

Minority Investors in LLCs: Contractual Limitations, Waivers of Fiduciary Duties, Other Key Provisions Presenting a live 90-minute webinar with interactive Q&A Minority Investors in LLCs: Contractual Limitations, Waivers of Fiduciary Duties, Other Key Provisions Protecting Minority Interests, Choice of

More information

IMPORTANT INFORMATION

IMPORTANT INFORMATION UDFI for Exempt Organizations: Reporting Unrelated Debt-Financed Income on Form 990-T Avoiding Costly Allocation Mistakes in the Sale of Encumbered Property WEDNESDAY, FEBRUARY 3, 2016, 1:00-2:50 pm Eastern

More information

Presenting a 90-minute encore presentation featuring live Q&A. Today s faculty features:

Presenting a 90-minute encore presentation featuring live Q&A. Today s faculty features: Presenting a 90-minute encore presentation featuring live Q&A Private Equity Waterfall and Carried Interest Provisions: Economic and Tax Implications for Investors and Sponsors Distributions, Clawbacks

More information

Creatively Completing The Capital Stack: Real Estate GP Private Equity Funds

Creatively Completing The Capital Stack: Real Estate GP Private Equity Funds Presenting a live 90-minute webinar with interactive Q&A Creatively Completing The Capital Stack: Real Estate GP Private Equity Funds Structuring Key Deal Terms Regarding Distribution, Sharing of Promote

More information

VA Benefits and Medicaid Eligibility

VA Benefits and Medicaid Eligibility Presenting a live 90-minute webinar with interactive Q&A VA Benefits and Medicaid Eligibility Meeting Complex Requirements for Benefits Qualification and Application THURSDAY, FEBRUARY 16, 2012 1pm Eastern

More information

Springing the Delaware Tax Trap: Drafting Limited Powers of Appointment to Increase Asset Income Tax Basis

Springing the Delaware Tax Trap: Drafting Limited Powers of Appointment to Increase Asset Income Tax Basis Presenting a live 90-minute webinar with interactive Q&A Springing the Delaware Tax Trap: Drafting Limited Powers of Appointment to Increase Asset Income Tax Basis TUESDAY, JUNE 28, 2016 1pm Eastern 12pm

More information

Partnership Basis and Distributions: Navigating Sections , 751(b) and 755

Partnership Basis and Distributions: Navigating Sections , 751(b) and 755 Presenting a live 110-minute teleconference with interactive Q&A Partnership Basis and Distributions: Navigating Sections 731-737, 751(b) and 755 WEDNESDAY, JULY 17, 2013 1pm Eastern 12pm Central 11am

More information

ERISA Pre-Approved and Customized Benefit Plans: Overhauled IRS Procedures and Determination Letter Process

ERISA Pre-Approved and Customized Benefit Plans: Overhauled IRS Procedures and Determination Letter Process Presenting a live 90-minute webinar with interactive Q&A ERISA Pre-Approved and Customized Benefit Plans: Overhauled IRS Procedures and Determination Letter Process TUESDAY, NOVEMBER 14, 2017 1pm Eastern

More information

for Landlords and Tenants Negotiating Insurance, Indemnity and Mutual Waiver of Subrogation Provisions

for Landlords and Tenants Negotiating Insurance, Indemnity and Mutual Waiver of Subrogation Provisions Presenting a live 90 minute webinar with interactive Q&A Commercial Leases: Risk Mitigation Strategies for Landlords and Tenants Negotiating Insurance, Indemnity and Mutual Waiver of Subrogation Provisions

More information

IC-DISC: Compliance Challenges in the Federal Tax Break for Exporters

IC-DISC: Compliance Challenges in the Federal Tax Break for Exporters Presenting a live 110-minute teleconference with interactive Q&A IC-DISC: Compliance Challenges in the Federal Tax Break for Exporters Leveraging Benefits Arising From the Dividend Tax Solution WEDNESDAY,

More information

Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities

Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities Form 8903: Domestic Production Activities Deduction for Pass-Thrus and Other Business Entities Mastering Complex Determinations, Calculations and Reporting Challenges for the DPAD WEDNESDAY, FEBRUARY 25,

More information