FacultyFaculty/Author Profile

Jerred G. Blanchard, Jr.

Baker & McKenzie LLP

Houston, TX, USA


Jerred G. Blanchard is a member of the International Tax Services group in the National Tax Department of Ernst & Young LLP, currently based in the Houston, Texas office. He does federal income tax planning for corporations and shareholders, with expertise in the consolidated return regulations, the preservation and use of tax attributes in connection with insolvency proceedings,  and cross-border mergers and acquisitions.

Jerred has a B.A. from Yale University, a J.D. from Vanderbilt University School of Law, and an LL.M. in Taxation from New York University School of Law. He is a member of the State Bar of Texas, the Texas Bar Association and the American Bar Association Section of Taxation where he chaired the Committee on Affiliated and Related Transactions. Prior to joining Ernst & Young, Jerred was a partner in the law firm of Weil Gotshal & Manges where his principal focus was the bankruptcy tax area, including planning regarding the preservation and use of debtor tax attributes.

Jerred is also a member of the 11th District Advisory Committee to the Board of Directors of the Federal Reserve Bank at Dallas. In addition, he is a co-author of a well-known consolidated return treatise, has written numerous articles in various professional journals on multiple corporate tax topics, and is a frequent speaker at various CLE programs across the country.

Jerred G. Blanchard, Jr. is associated with the following items:
Treatise Chapters  Treatise Chapters Triple-Drop-and-Check Transactions: Reflections on the Interaction of the All Boot “D” Reorganization Regulations with Revenue Ruling 78-130 - The Corporate Tax Practice Series, Wednesday, February 08, 2017
The Consolidated Return Anti-Loss Duplication Rule - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Underwater Assets and Insolvent Corporations: Reflections on Treasury’s Recently Proposed Regulations and Related Matters - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Zero Basis in the Taxpayer’s Own Stock or Debt Obligations: Whether Such Instruments Constitute “Property” - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Final GRA Regulations Issued February 10, 2009, Reg. §1.367(a)-8 - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Consolidated Return Treatment of Financially Troubled Members - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Assumptions of “Liabilities” in Taxable and Non-Taxable Transactions - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Allocation of Consideration and Allocation and Recovery of Basis in Transactions Involving Stock or Securities (PowerPoint slides) - The Corporate Tax Practice Series, Wednesday, February 08, 2017
Share
Email

  • FOLLOW PLI:
  • twitter
  • LinkedIn
  • GooglePlus
  • RSS

All Contents Copyright © 1996-2017 Practising Law Institute. Continuing Legal Education since 1933.

© 2017 PLI PRACTISING LAW INSTITUTE. All rights reserved. The PLI logo is a service mark of PLI.