Gain a better understanding of the intricacies of the US and Foreign tax laws as they pertain to charitable donations.
Many individuals and organizations do not fully understand the intricacies of U.S. and foreign tax laws as they pertain to charitable donations. In addition, many organizations struggle with tax and nontax rules pertaining to cross-border grant making. This information will help those responsible for institutional fundraising as well as their donors navigate the rules pertaining to cross border donations. The material is also designed to assist private foundations and public charities in establishing best practices for international grant making.
Agenda
Faculty
Lawton C. Leung
Withersworldwide
- Attorney with Withersworldwide
- Practice focuses on domestic and international tax, estate planning, and nonprofit organizations
- Advises donors with respect to planned giving structures
- Advises public charities, private foundations, and other tax-exempt organizations on formation, tax, and regulatory matters
- Member of the New York and Connecticut Bar Associations
- LL.M. degree in taxation, New York University School of Law; J.D. degree, Boston College Law School; A.B. degree, Dartmouth College
- Can be contacted at 203-974-0356 or [email protected]
Paul M. Roy
Withersworldwide
- Former partner and now of counsel with Withersworldwide
- Practice focuses on domestic and international tax, estate planning, and nonprofit organizations
- Advises private foundations and other nonprofit organizations on tax matters and counsels private clients with respect to planned giving
- Advised some of the largest private foundations in the U.S., as well as numerous U.S. and non U.S. museums, universities and other public charities
- Member of the New York, Connecticut and Massachusetts Bar Associations
- J.D. degree, Georgetown University Law School; B.S. degree, The Wharton School at University of Pennsylvania; B.A. degree, The University of Pennsylvania School of Arts and Sciences
- Can be contacted at 203-974-0332 or [email protected]
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