Defending Family Partnerships and LLC’s From IRS Attack: A Tax Litigator’s Perspective Out of Stock
OnDemand
Ratings |
|
Standard Price | |
Member Price | |
Size | |
Color | |
Qty |
Product Details
About the Seminar
Join Charlotte tax litigation attorney Curtis Elliott for some practical advice on how you can defend family limited partnerships and LLCs from attack by the IRS. Curtis covers the most recent IRS strategies, the role of bad facts in Section 2036 cases, full and adequate consideration, business purpose/implied retained interest findings under Section 2036, the step transactions doctrine, attacks against an FLP or FLLC entity's existence or transfer restrictions under Section 2703, and other important issues in defending these business entities. If you represent FLPs or LLCs, this is an important and powerful presentation you cannot afford to miss.
Join Charlotte tax litigation attorney Curtis Elliott for some practical advice on how you can defend family limited partnerships and LLCs from attack by the IRS. Curtis covers the most recent IRS strategies, the role of bad facts in Section 2036 cases, full and adequate consideration, business purpose/implied retained interest findings under Section 2036, the step transactions doctrine, attacks against an FLP or FLLC entity's existence or transfer restrictions under Section 2703, and other important issues in defending these business entities. If you represent FLPs or LLCs, this is an important and powerful presentation you cannot afford to miss.
Note: When submitting your compliance reports to the SC Commission on CLE and Specialization, if you completed this in 2021 , please use this course code : 210987ADO.
Note: When submitting your compliance reports
to the SC Commission on CLE and Specialization, if you completed this in 2022, please use this course code: 223174ADO.
Tags Business/Corporate; Tax; Litigation/Trial Practice; Big Ticket