| Date: 09/20/2007
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| Time:
10:00am-11:40am PST
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| Location:
(online)
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| Speaker:
Thomas H. Steele |
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Description:
State legislatures and courts have forced the once-lucrative intangible holding company (IHC) and passive investment company
(PIC) tax strategies out of existence. Many states now will declare income tax nexus on companies leasing intangible assets
like trademarks from related entities.
However, new possibilities arose in the wake of those outlawed tax-planning strategies. For example, corporate parents might
consider charging related entities service fees rather than royalties, creating embedded royalty companies, or selling intangible
assets under Sect. 197.
Staying abreast of the new opportunities being crafted to replace IHCs and PICs is imperative for tax professionals and counsel
in order to take advantage of their substantial savings potential.
Listen and participate from your telephone as our panel of veteran tax advisors updates you on evolving tax planning strategies
and practices you can use now.
For more information or to register online, visit http://www.straffordpub.com/products/ttrtxa/