The Private Equity taxation landscape and Tax Policy continues to evolve. This webinar will guide you through the latest updates associated with the “carried interest” rules under Section 1061, the application of Section 163(j) in tiered partnership structures, and the IRS’s increased focus on partnership exams. We will also cover the latest developments and views of Tax Policy post-election.
Co-sponsored with:
Access the webinar recording
Note: CPE Credit is NOT available for the recording
Access the presentation
For the latest business issues, insights and regulatory updates related to COVID-19, please visit our
Resource Center