FacultyFaculty/Author Profile
Blake D. Rubin

Blake D. Rubin

EY

Washington, DC, USA


Based in Washington, D.C., Blake practices federal taxation, with emphasis on matters relating to partnership and real estate taxation. His practice includes planning, policy and controversy matters. He has extensive experience structuring large partnership and real estate transactions.

Blake is listed in The Best Lawyers in America and in Super Lawyers in both the tax and real estate categories. Chambers USA described him as “a masterful attorney whose expertise in partnerships and real estate is unparalleled;” “phenomenal for partnership tax issues;” “one of the best at tax structuring;” and “an absolutely sterling individual.” Legal 500 “highly recommends” him as an “industry leader” for both partnership and real estate matters; PLC Which Lawyer? recommends him as “highly regarded;” and Washingtonian Magazine named him as one of the top lawyers in Washington, D.C. He is also listed in Who’s Who in America and in Who’s Who in American Law.  He has been rated AV Preeminent by Martindale-Hubbell every year since 1997. He is the author of more than 180 professional articles, is a frequent lecturer on tax topics at conferences across the country, and has testified at the invitation of the U.S. House of Representatives Committee on Ways and Means as an expert on tax issues.

Blake has been active in both the District of Columbia Bar and the American Bar Association. He served as Chair of the 1,600 member District of Columbia Bar Section of Taxation, and twice served as Chair of its Passthroughs and Real Estate Committee. He served as Chair of the American Bar Association Section of Taxation Real Estate Committee. He serves as Partnership and Real Estate Chair for New York University’s Annual Institute on Federal Taxation, and also serves as Chair of three other annual national tax conferences. He served as Vice Chair of the Tax Policy Advisory Committee of the Real Estate Roundtable, and is a member of the National Association of Real Estate Investment Trusts.

Prior to joining EY in 2016, Blake was Global Vice-Chair of the U.S. & International Tax Group at McDermott Will & Emery and also Head of its Washington Tax Practice. Prior to that, Blake was Chair of the Tax Practice at Arnold & Porter. From 1984 through 1987, Blake served with the Office of Tax Legislative Counsel, U.S. Department of Treasury. He was deeply involved in the development of the Tax Reform Act of 1986 provisions and administrative guidance affecting partnerships and real estate. Before joining the Treasury Department, Blake practiced in Philadelphia and was an Adjunct Professor in Villanova University’s Master of Laws in Taxation program, where he taught courses on tax planning for real estate transactions.

J.D., cum laude, Order of the Coif, University of Pennsylvania School of Law
M.B.A., with distinction, Beta Gamma Sigma and Beta Alpha Psi, Wharton School of the University of Pennsylvania
B.A., Haverford College

Blake D. Rubin is associated with the following items:
Web Segment  Web Segment Partnership Mergers and Divisions - Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2017, Friday, June 09, 2017
Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2017, Friday, October 27, 2017
Transactions Involving Real Estate – Practical Solutions to Everyday Problems - 20th Annual Real Estate Tax Forum, Wednesday, January 31, 2018
Sophisticated Partnership Structures and Issues – Moving Property to and from Partnerships and REITs - 20th Annual Real Estate Tax Forum, Wednesday, January 31, 2018
Key Provisions of the Tax Cuts and Jobs Act Affecting Commercial Real Estate - 20th Annual Real Estate Tax Forum, Wednesday, January 31, 2018
Real Estate Investment Trusts – What’s New in the REIT World & Non-U.S. Investors and FATCA; Tax Cuts and Jobs Act International Tax Changes Most Relevant to Real Estate - 20th Annual Real Estate Tax Forum, Wednesday, January 31, 2018
CHB Chapters  CHB Chapters Making Section 704(c) Sing for You - Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2017, Friday, June 09, 2017
Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances 2017 (PowerPoint slides) - Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2017, Wednesday, October 18, 2017
Disposing of Overleveraged Real Estate: Thinking Outside the Box (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
A Section 754 Paradox: Basis Step-Up Triggers Gain Recognition in UPREIT and Other Partnership Contribution Transactions - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Can Code Sec. 704(c) Be Applied to a Capital Gain Dividend Paid by a REIT? (October 1, 2017) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Partnership Equity Extraction Techniques (September 1, 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Regulations Regarding Assumption of Partnership Liabilities - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Ruling on Like-Kind Exchanges of Leveraged Property Solves Problems and Creates Opportunities - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Revenue Ruling 2012-14: The IRS Lends a Helping Hand to Insolvent Partners (July 2, 2012) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
The Proposed Regulations on Partnership Allocations with Respect to Contributed Property - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Defeasing Conduit Loans: Tax Issues, Premiums, Like-Kind Exchanges and “New York Style” (May 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Tax Court Goes Overboard in Canal (January 10, 2011) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Final and Proposed Regulations Regarding Partnership Noncompensatory Options (January 2014) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Disguised Sales of Partnership Interests: An Analysis of the Proposed Regulations - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Rev. Proc. 2009-37 Allows Flexibility for Partnerships Electing New C.O.D. Income Deferral (September 22, 2009) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Maximizing Capital Gains in Real Estate Transactions (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Sixth Circuit Vacates Controversial Hubert Case Dealing with Partner’s At-Risk Amount - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
The Tax Treatment of Environmental Cleanup Costs - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Partnership Disguised Sale Regulations End Leveraged Partnerships (June 1, 2017) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Ruling on Allocating Partnership Liabilities Disregards Technicalities to Absolve Taxpayer of Gain - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Implications of Canal Corporation for Structuring Partnership Transactions (September 15, 2013) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Current Issues in Like-Kind Exchanges (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Testimony Before the Subcommittee on Select Revenue Measures (May 15, 2013) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Handling UPREIT and DownREIT Transactions: Latest Techniques and Issues (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Proposed Regulations on Mergers Involving Disregarded Entities - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Protecting OP Unitholders in REIT Going Private Transactions - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Proposed Regulations on Application of the Anti-Mixing Bowl Rules After a Partnership Merger to Apply Prospectively - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Tax Planning for the Sale or Other Disposition of Overencumbered Real Estate - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Developments in Partnership and Real Estate Taxation in 2013 (September 15, 2013) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Rev. Rul. 2016-15 Holds Real Estate Dealers Cannot Exclude Cancellation of Indebtedness Income, But Is It Correct? - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Tax Court Respects Partnership’s Property Distribution: Countryside Limited Partnership v. Commissioner - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Recourse or Nonrecourse: Treatment of Liabilities for COD and Other Purposes (September 13, 2010) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Rev. Rul. 99-43: When to Hold’em, When to Fold’em, and When to Book-Down - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Opportunities and Pitfalls for the Property Owner in Transactions with a REIT (October 2012) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
A Comprehensive Guide to Partnership Terminations, Including the Impact of the New Proposed Regulations - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Tax Court Sticks to Its Guns and Sticks It to Taxpayers in Hubert Case - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Creative Planning for Partnership Liability Allocations, Including the New Proposed Regulations (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Final Partnership Debt-for-Equity Regs Deny Creditors’ Losses (February 27, 2012) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Partnership Disguised Sales of Property: G-I Holdings Misses the Mark (March 15, 2010) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Planning for Partnership Liability Allocations, Including the New Proposed Regulations (January 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Tax Planning for Partnership Options and Compensatory Equity Interests (September 1, 2008) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Maximizing Capital Gains in Real Estate Transactions: Case Studies - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Recent Developments Regarding Disguised Sales of Partnership Interests - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Cancellation of Indebtedness Income Deferral in Economic Stimulus Bill Raises Complex Issues for Partnerships (July 1, 2009) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Partnerships and Disregarded Entities in Like-Kind Exchanges (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
The Impact of a Capital Account Deficit Restoration Obligation on a Partner’s At-Risk Amount and Share of Liabilities: Hubert Enterprises, Inc. v. Commissioner - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Taxpayer Favorable PLRs Allow Gain on Sale of Partnership Assets to Be Offset by Disallowed Loss on Earlier Sale of Partnership Interest (April 2016) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Making Section 704(c) Work for You (PowerPoint slides) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Is Your Transaction a Partnership Merger or Liquidation and Why You Should Care (January 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Partnership Mergers, the Anti-Mixing Bowl Rules and Rev. Rul. 2004-43: How Could the Service Be So Wrong? - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Creditors Beware: Proposed Partnership Debt-for-Equity Regulations Deny Your Tax Loss (March 1, 2009) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Developments in Partnership and Real Estate Taxation in 2014 (September 1, 2014) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Final Regulations on the Treatment of Disregarded Entities for Purposes of Characterizing and Allocating Liabilities Under Code Sec. 752: Questions and Complexities Continue - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Handling Partnership Mergers and Divisions (December 2013) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Jobs Act Tightens Partnership Tax Rules - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
“Bad Boy” Nonrecourse Carve-Outs in Real Estate Loan Cause It to Be Recourse—Or Do They? (May 2016) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Final Partnership Liability Regulations Target “Son of Boss” Abuse But Sweep More Broadly - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Proposed Regulations on Partnership Interests Issued for Services Create Problems and Opportunities - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Developments in Partnership and Real Estate Taxation in 2015 (October 1, 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Is It Cancellation of Debt (COD) Income?: New IRS Chief Counsel Advice Takes the Gas Out of Great Plains Gasification (September 1, 2015) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
New Temporary and Proposed Partnership Liability Allocation Regulations Are Deeply Flawed and Should Be Withdrawn (February 1, 2017) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Exploring the Outer Limits of Section 704(c)(1)(A) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Developments in Partnership and Real Estate Taxation in 2016 (September 1, 2016) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Put a “Bottom” Deficit Restoration Obligation in Your Partnership Liability Allocation Tool Box (September 1, 2014) - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Proposed Regulations on Allocating Partnership Liabilities to Owners of Disregarded Entities - 20th Annual Real Estate Tax Forum, Thursday, February 01, 2018
Making Section 704(c) Sing for You - Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2018, Tuesday, May 01, 2018
Creative Transactional Planning Using the Partnership Merger and Division Regulations - Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2018, Tuesday, May 01, 2018
MP3 Audio  MP3 Audio Partnership Mergers and Divisions - Partnership Mergers and Divisions, Friday, June 09, 2017
Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances - Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances, Friday, October 27, 2017
Sophisticated Partnership Structures and Issues – Moving Property to and from Partnerships and REITs - Sophisticated Partnership Structures and Issues – Moving Property to and from Partnerships and REITs, Wednesday, January 31, 2018
Real Estate Investment Trusts – What’s New in the REIT World & Non-U.S. Investors and FATCA; Tax Cuts and Jobs Act International Tax Changes Most Relevant to Real Estate - Real Estate Investment Trusts – What’s New in the REIT World & Non-U.S. Investors and FATCA; Tax Cuts and Jobs Act International Tax Changes Most Relevant to Real Estate, Wednesday, January 31, 2018
Transactions Involving Real Estate – Practical Solutions to Everyday Problems - Transactions Involving Real Estate – Practical Solutions to Everyday Problems, Wednesday, January 31, 2018
Key Provisions of the Tax Cuts and Jobs Act Affecting Commercial Real Estate - Key Provisions of the Tax Cuts and Jobs Act Affecting Commercial Real Estate, Wednesday, January 31, 2018
Transcripts  Transcripts Partnership Mergers and Divisions - Partnership Mergers and Divisions, Friday, June 09, 2017
Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances - Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances, Friday, October 27, 2017
MP4 - Mobile Video Seg  MP4 - Mobile Video Seg Partnership Mergers and Divisions - Partnership Mergers and Divisions, Friday, June 09, 2017
Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances - Corporate Tax Strategies and Techniques Using Partnerships, LLCs and Other Strategic Alliances, Friday, October 27, 2017
Sophisticated Partnership Structures and Issues – Moving Property to and from Partnerships and REITs - Sophisticated Partnership Structures and Issues – Moving Property to and from Partnerships and REITs, Wednesday, January 31, 2018
Real Estate Investment Trusts – What’s New in the REIT World & Non-U.S. Investors and FATCA; Tax Cuts and Jobs Act International Tax Changes Most Relevant to Real Estate - Real Estate Investment Trusts – What’s New in the REIT World & Non-U.S. Investors and FATCA; Tax Cuts and Jobs Act International Tax Changes Most Relevant to Real Estate, Wednesday, January 31, 2018
Transactions Involving Real Estate – Practical Solutions to Everyday Problems - Transactions Involving Real Estate – Practical Solutions to Everyday Problems, Wednesday, January 31, 2018
Key Provisions of the Tax Cuts and Jobs Act Affecting Commercial Real Estate - Key Provisions of the Tax Cuts and Jobs Act Affecting Commercial Real Estate, Wednesday, January 31, 2018
On-Demand Web Programs  On-Demand Web Programs Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2017, Saturday, June 24, 2017, San Francisco, CA
Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2017, Wednesday, November 01, 2017, New York, NY
20th Annual Real Estate Tax Forum, Tuesday, February 06, 2018, New York, NY
Treatise Chapters  Treatise Chapters New Proposed Regulations on Mergers Involving Disregarded Entities - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Implications of Canal Corporation for Structuring Partnership Transactions - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Proposed Regulations on Application of the Anti-Mixing Bowl Rules After a Partnership Merger to Apply Prospectively - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Opportunities and Pitfalls for the Property Owner in Transactions with a REIT - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
New COD Income Deferral Guidance Allows Flexibility for Partnership - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Recent Developments in Partnership and Real Estate Taxation - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Partnership Mergers, the Anti-Mixing Bowl Rules and Rev. Rul. 2004-43: How Could the Service Be So Wrong? - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
The Impact of Disregarded Entities on Partnership Liability Allocations: Proposed Regulations Under I.R.C. Section 752 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
IRS Helps Insolvent Partners in Revenue Ruling 2012-14 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
New Proposed Regulations on Disguised Sales of Partnership Interests - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
New Taxpayer Favorable PLRs Allow Gain on Sale of Partnership Assets to Be Offset by Disallowed Loss on Earlier Sale of Partnership Interest - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Proposed Regulations on Partnership Interests Issued for Services: Practical Problems and Opportunities - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
JOBS Act Tightens Partnership Tax Rules - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
New Ruling on Allocating Partnership Liabilities Disregards Technicalities to Absolve Taxpayer of Gain - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Planning for Partnership Liability Allocations Including the New Proposed Regulations - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Here Comes the Kitchen Sink: IRS Throws “Everything But” at Two Partnership Tax Deferral Structures - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Creditors Beware: Proposed Partnership Debt-for-Equity Regulations Deny Your Tax Loss - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Recent Developments Regarding Disguised Sales of Partnership Interests - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Significant Developments in Partnership Taxation 2003-2004 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Significant Developments in Partnership Taxation 2007-2008 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Developments in Partnership and Real Estate Taxation in 2011 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Making Section 704(c) Sing for You - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Tax Court Goes Overboard in Canal - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Final and Proposed Regulations Regarding Partnership Noncompensatory Options - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
A Comprehensive Guide to Partnership Terminations, Including the New Proposed Regulations - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
A Section 754 Paradox: Basis Step-Up Triggers Gain Recognition in UPREIT and Other Partnership Contribution Transactions - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Creative Transactional Planning Using the Partnership Merger and Division Regulations - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
A ‘Guaranteed’ Debacle: Proposed Partnership Liability Regulations - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
"Bad Boy" Nonrecourse Carve-Outs in Real Estate Loan Cause It to Be Recourse—or Do They? - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Rev. Rul. 99-43: When to Hold’em, When to Fold’em, and When to Book-Down - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Final Regulations on the Treatment of Disregarded Entities for Purposes of Characterizing and Allocating Liabilities Under Code Sec. 752: Questions and Complexities Continue - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Significant Developments in Partnership Taxation 2006-2007 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Exploring the Outer Limits of Section 704(c)(1)(A) - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Sixth Circuit Vacates Controversial Hubert Case Dealing with Partner’s At-Risk Amount - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Developments in Partnership and Real Estate Taxation in 2010 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
The Proposed Regulations on Partnership Allocations with Respect to Contributed Property - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Partnership Disguised Sales of Property: G-I Holdings Misses the Mark - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Tax Court Respects Partnership’s Property Distribution: Countryside Limited Partnership v. Commissioner - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Guarantees, DROs, and CCOs: Getting Partnership Liability Allocations Right - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Put a “Bottom” Deficit Restoration Obligation in Your Partnership Liability Allocation Tool Box - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Developments in Partnership and Real Estate Taxation in 2014 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Significant Developments in Partnership Taxation 2004-2005 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Tax Court Sticks to Its Guns and Sticks It to Taxpayers in Hubert Case - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Significant Developments in Partnership Taxation 2008-2009 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Tax Planning for Partnership Options and Compensatory Equity Interests - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Is It Cancellation of Debt (COD) Income?: New IRS Chief Counsel Advice Takes the Gas Out of Great Plains Gasification - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Take the Money and Run: Extracting Equity on a Tax-Free Basis - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
New Partnership Liability Regulations Target Abuse but Sweep More Broadly - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Developments in Partnership and Real Estate Taxation in 2013 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
The Impact of a Capital Account Deficit Restoration Obligation on a Partner’s At-Risk Amount and Share of Liabilities: Hubert Enterprises, Inc. v. Commissioner - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Recourse or Nonrecourse: Liability Treatment for COD, Other Purposes - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
Developments in Partnership and Real Estate Taxation in 2012 - The Partnership Tax Practice Series: Planning for Domestic and Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances, Tuesday, August 01, 2017
The Impact of a Capital Account Deficit Restoration Obligation on a Partner’s At-Risk Amount and Share of Liabilities: Hubert Enterprises, Inc. v. Commissioner - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Recent Developments in Partnership and Real Estate Taxation in 2011 - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Sixth Circuit Vacates Controversial Hubert Case Dealing with Partner’s At-Risk Amount - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
New Legislation Tightens Partnership Tax Rules - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Creditors Beware: Proposed Partnership Debt-for-Equity Regulations Deny Your Tax Loss - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Creative Transactional Planning Using the Partnership Merger and Division Regulations - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Cancellation of Indebtedness Income Deferral in Economic Stimulus Bill Raises Complex Issues for Partnerships - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Developments in Partnership and Real Estate Taxation in 2014 - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
A 'Guaranteed' Debacle: Proposed Partnership Liability Regulations - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Partnership Disguised Sales of Property: G-I Holdings Misses the Mark - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Final Regulations on the Treatment of Disregarded Entities for Purposes of Characterizing and Allocating Liabilities Under Code Sec. 752: Questions and Complexities Continue - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Recent Developments in Partnership Taxation - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Tax Court Respects Partnership’s Property Distribution: Countryside Limited Partnership v. Commissioner - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Proposed Regulations on Partnership Equity for Services Create Problems and Opportunities - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
New Proposed Regulations on Disguised Sales of Partnership Interests - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Final Partnership Debt-for-Equity Regs Deny Creditors’ Losses - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Revenue Ruling 2012–14: The IRS Lends a Helping Hand to Insolvent Partners - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Tax Court Goes Overboard in Canal - The Corporate Tax Practice Series: Strategies for Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings, Thursday, February 15, 2018
Course Handbooks  Course Handbooks 20th Annual Real Estate Tax Forum
Live Seminar  Live Seminar Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2018, Monday, June 04, 2018, San Francisco, CA
Live Webcast  Live Webcast Tax Planning for Domestic & Foreign Partnerships, LLCs, Joint Ventures & Other Strategic Alliances 2018, Monday, June 04, 2018, San Francisco, CA
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