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Advice for a New Investment Landscape - Inbound Tax Planning after U.S. Tax Reform

While tax reform has changed the landscape, the U.S. remains an appealing place for foreign entrepreneurs. Advisors must be prepared to answer questions when clients plan a move to the U.S.: What are the tax consequences of holding non-U.S. entities pre- and post-move? What elections should be made? What are the benefits of various U.S. structures when a business expands into the U.S.?

This program will address these issues and discuss recently enacted provisions that impact decision making:

  • Foreign Derived Intangible Income ("F.D.I.I.")
  • The Qualified Business Income ("Q.B.I.") deduction
  • Global Intangible Low-Taxed Income ("G.I.L.T.I.")
  • The new limitation on interest expense deductions
  • Changes to Subpart F

SPEAKERS

Stanely C. Ruchelman, Ruchelman P.L.L.C.
A. Fanny Karaman, Ruchelman P.L.L.C.

SCHEDULE OF EVENTS

12:00 P.M.  Welcome Lunch
12:30 P.M.  Presentation

CREDIT AVAILABLE

CLE 1.0 Areas of Professional Practice (non-transitional)*
CPE 1.0 Taxation

This event is currently at capacity. Register below to be added to the waitlist.

*Application for New York accreditation of this course is currently pending.


For questions regarding this and other Ruchelman events, contact lapper@ruchelaw.com.

Date & Time

Tuesday, May 22
12:00 P.M. – 1:30 P.M.

Location

Ruchelman P.L.L.C.
150 East 58th St., 22nd Fl.
New York, New York 10155