Understand the terminology and application of tax law in the context of cryptocurrencies and digital assets.
Many attorneys, accountants, and advisors struggle with the ever-changing terminology used by enthusiasts of cryptocurrencies and digital assets, as well as how to apply tax law to determine the results of the myriad transactions that are possible. This presentation will help define the terminology, explain how it's used, and provide a framework to apply the new technology and terminology to existing tax law, as well as gain an understanding of the various proposals from Congress and state legislatures, and the regulatory efforts from the Treasury and IRS. While the terminology and transactions may be difficult to understand, this presentation will help quiet the noise from internet tax advisors to provide concrete guidance.
Agenda
Faculty
Matthew E. Foreman, J.D., LL.M.
Falcon Rappaport & Berkman LLP
· Partner and Co-chair of the Taxation Practice Group at Falcon Rappaport & Berkman LLP
· Advises businesses on the tax effects of a variety of corporate transactions, including taxable and tax- free reorganizations, mergers, sales, and acquisitions
· Advises clients on a variety of tax issues related to cryptocurrencies, including initial coin offerings (ICOs), taxability of staking and air drops, taxability and governance of DAOs, and the imposition of Sales and Use taxes on the issuance of non-fungible tokens (NFTs)
· Admitted to practice law in New York State and New Jersey, and admitted to practice before the United States Tax Court; Member, New York City Bar Association; Secretary, State and Local Tax Committee of New York City Bar Association; Member, Task Force on Digital Technologies; Member, Tax Section of New York State Bar Association
· Rated as a New York Metro SuperLawyer in the field of Taxation
· LL.M. degree in taxation, New York University School of Law; J.D. degree, The Pennsylvania State University, Dickinson School of Law; B.S. degree, University at Albany, State University of New York
· Can be contacted at 212-203-3255 or [email protected]
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