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What Tax Lawyers Need to Know About the Instant Impact of Castle-Harbour LLC v. U.S. (D. Conn. Oct. 7, 2009) on Partnership Structures with Tax Benefits for Their Clients
ExecSense, Nov 2009, Minutes: 75
What Tax Lawyers Need to Know About the Instant Impact of Castle-Harbour LLC v. U.S. (D. Conn. Oct. 7, 2009) on Partnership Structures with Tax Benefits for Their Clients” is a time efficient way to be in-the-know on the most up to date facts and ramifications of this case and take proactive steps on behalf of current and prospective clients it could impact the most. Take the 60 minutes to view this webinar (on your computer, mobile phone, iPod or printed out) to make sure you have answers ready to key questions you are sure to be asked on the immediate ramifications of this decision by colleagues, clients and other professionals with whom you discuss the case, as the legitimacy of partnership structures with tax benefits may be analyzed very differently than in the past.
Upon ordering, we will email you a link to download the webinar for viewing on your computer, mobile media device (iPod/iPhone, Blackberry), or printed out. The downloaded files will include the PowerPoint presentation, audio narration and jpeg images of the slides (for watching on your mobile media device).
The webinar is led by an expert on the ramifications of this case and IRS challenges to corporate structuring, Rich Walton, and focuses on:
- Everything you need to know in 60 minutes about the impact of the District of Connecticut’s ruling in Castle-Harbour LLC v. U.S. on partnership structures with tax benefits
- Perspective on how partnership structures with tax benefits may now be analyzed to determine their legitimacy for tax purposes, how this decision may impact IRS challenges of partnership structures with tax benefits, and how this decision will fare on appeal
- The 10 questions being asked the most by tax lawyers and their clients with respect to how this will impact them and what proactive steps they should be taking
- Case studies of what other lawyers are doing for their clients based on this ruling and how to explain to clients whether their structuring should be changed based on the analysis applied in this case
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