transcript   Transcript

Tax Strategies for Financially Troubled Businesses and Other Loss Companies

Recorded on: Oct. 22, 2018
Running Time: 01:01:23

Full Transcript:



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Taken from the Web Program Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2018 Recorded October 2018 in New York

Tax Strategies for Financially Troubled Businesses and Other Loss Companies [01:01:23]

Equity for debt exchanges and ownership changes under Section 382; COD/OID/AHYDO/CERT; Section 108 and 382-related guidance; strategies for acquisitions of loss companies; issues in bankruptcies; debt for debt exchanges and modifications; issues regarding worthless stock deductions; treatment of net operating losses under the 2017 Tax Act.

Stuart J. Goldring, Linda Z. Swartz, David W. Zimmerman, Douglas C. Bates [Branch Chief, Office of the Associate Chief Counsel (Corporate, Branch 4), Internal Revenue Service]

The purchase price of this Web Program segment includes the following article from the Course Handbook available online:
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Presentation Material
  • New Developments and Tax Strategies for Financially Troubled Businesses and Other Loss Companies
    Stuart J. Goldring, Linda Z. Swartz, David W. Zimmerman
  • (s)
    Douglas C. Bates ~ Branch Chief, Office of the Associate Chief Counsel (Corporate, Branch 4), Internal Revenue Service
    Stuart J. Goldring ~ Weil Gotshal & Manges LLP
    Linda Z. Swartz ~ Cadwalader, Wickersham & Taft LLP
    David W. Zimmerman ~ Miller & Chevalier Chartered
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