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Tax Treatment of Leveraged Blockers for Foreign Investors: Recent IRS Guidance, Deal Structures, and Tax Planning – June 7th, 1:00 pm – 2:30 pm EDT | Strafford

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“Structuring Strategies and Tax Considerations for Foreign Investors in U.S. Assets: Leveraged Blockers and Other Tax Planning Mechanisms – Live CLE/CPE Webinar”

Tax professionals and investors alike are gearing up for a live 90-minute premium CLE/CPE video webinar on June 7th, 2024, from 1:00 PM to 2:30 PM EDT. The webinar will focus on structuring strategies and tax considerations for foreign investors in U.S. assets, utilizing leveraged blockers and other tax planning mechanisms.

With the increasing trend of foreigners investing in U.S. real estate, funds, and other assets, tax professionals are faced with the challenge of implementing strategies to avoid and minimize adverse tax consequences. The choice of entity and how the investment is held can significantly impact U.S. income and estate taxes paid by investors.

The panel of experts will delve into the benefits and potential risks of using blocker structures and other strategies to mitigate ECI exposure. They will also discuss the recent IRS Transfer Pricing Memo and its impact on leveraged blockers used by foreign investors to passively invest in U.S. assets.

Attendees can expect to gain insights into income tax consequences of investing in U.S. assets through a foreign corporation, how leveraged blockers can be used to mitigate ECI impact, best practices for tax professionals structuring leveraged blockers, and more.

This webinar promises to provide tax counsel with a thorough and practical guide to navigating the complex world of tax considerations for foreign investors in U.S. assets. Don’t miss this opportunity to stay informed and up-to-date on the latest strategies and developments in tax planning for foreign investments.

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