Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2012
Ms. Divola's presentation will cover:
- Capital interests
- Profits interests
- Restricted versus unrestricted, Section 83(b) election
- Options
- Warrants
- Equity appreciation rights
- Consequences to all parties
- Gray areas
- Recent IRS releases
- Proposed regulations dealing with service partners
- New focus on earned interests and possible "carried interest" legislation
- Effects of recent statutory amendments, proposed, temporary and new final regulations
- Sections 409A and 457A
The 3-day program will focus on partnership tax rules from the birth of the partnership through its operating life, with emphasis on tax issues and planning strategies and opportunities; and then, since for one reason or another such ventures frequently unwind either before or after satisfying their purpose, will focus on exit strategies and tax planning possibilities in unwinding.
Date & Time
6/13/2012
11:45 am PT
Location
PLI California Center
685 Market Street
San Francisco, CA 94105
Event Contact
Meredith Kintner
Speakers
Julie A. Divola
Sponsors
PLi (Practising Law Institute)
