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Webinar: Comprehensive Approach to Tax Planning for the U.S. Multinational Corporation
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Comprehensive Approach to Tax Planning for the U.S. Multinational Corporation

1/12/2023
When: Thursday, January 12, 2023
11:00 AM EST/NY
Where: Zoom
Presenter: Chris Klug
Contact: Kathy Rose
kathy.rose@integra-international.net


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Webinar: Comprehensive Approach to Tax Planning for the U.S. Multinational Corporation

Instructor: Christopher M. Klug

CPE Credits:  1.5 Tax

Join Zoom Meeting https://us06web.zoom.us/j/87983260900?pwd=V1A0d2VQTnFicUhlZE1aeXJuKzBJUT09

Meeting ID: 879 8326 0900
Passcode: 985993

Description

This program will cover outbound tax planning for U.S. Multinational Corporations.  Since such structures require coordination of both U.S. tax and taxes of other countries, it is important that the approach does not only consider U.S. tax considerations and therefore the program will be presented through a fact pattern incorporating relevant professionals and considerations from the United States and certain other countries. 

Executing transactions involving multiple taxing jurisdictions requires continuous planning, monitoring, and measuring of the tax consequences of these activities in order to reduce the effective tax rate and maximize the corporate earnings of the multinational corporation.  This is not a static exercise because the facts surrounding international business are continuing changing.  To respond to this dynamic environment, the tax planning process must continually evaluate the company’s operational and treasury positions and respond with a tax analysis that prospectively addresses the needs of the business. 

The U.S. taxation of multinational corporations is complex and will be broadly covered during the presentation.  Since U.S. multinational corporations are engaged in business or transactions in multiple countries, it is important not to ignore the implications in the applicable countries.  The main goal of the program is to provide a global framework to approach planning in multiple countries and not think in a vacuum by limiting the presentation to the U.S. tax implications.

 

 

 

 

 

 

 

Chris serves clients with domestic and international taxation, tax controversy, corporate/business planning, mergers and acquisitions, cross-border transactions, and domestic and international estate planning. Chris has extensive experience working with companies with domestic and international income tax planning. This work includes inbound and outbound mergers and acquisitions and other transactional tax matters. As a former tax professor, Chris has a strong background in subchapter C and S corporate taxation and partnership taxation and uses this knowledge to develop tax strategies for clients. Chris represents companies, private equity funds, hedge funds, joint ventures, real estate funds, and family offices.