Gain a better understanding of the rules and issues surrounding corporate and partnership liquidations.
Join our presentation discussing the tax consideration pertinent to business liquidation. The topic will cover the tax treatment upon liquidation to corporations and partnership and each of their shareholders and partners. The presentation will provide an analysis of the current law concerning the tax treatment of these business entities, an overview of when a liquidation occurs, applicable reporting requirements, practical tips, and available planning opportunities.
Agenda
Faculty
Peter Farrell
Baker Botts L.L.P.
- Special Counsel with Baker Botts L.L.P. in Washington, D.C.
- Focuses his practice on U.S., federal income tax matters with a concentration on tax-efficient structures for domestic and international mergers, acquisitions, joint ventures, separations, restructurings, and other reorganizations
- Clients include both public and private companies
- Frequently writes and gives talks on tax-related topics, including transaction structuring, spin-offs, reorganization transactions, renewable energy tax incentives, and the new and pending legislation affecting corporations and passthrough entities
Stephen Weinstein
Baker Botts L.L.P.
- Associate, Baker Botts L.L.P. Washington, D.C. office
- Focuses on U.S. federal income tax matters where he advises clients on mergers and acquisitions, domestic and cross-border transactions, and capital market transactions
- Previously a manager in Ernst & Young LLP’s International Tax and Transaction Services group focusing on U.S. federal income tax matters, mergers and acquisitions tax, and transaction structuring
- Licensed to practice in New York and the District of Columbia
- J.D. degree, valedictorian, Touro Law Center; LL.M. degree in taxation, Georgetown University Law Center
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