New Proposed Regulations Provide Welcome Transition Relief From Application of Onerous Proposed Section 382 Net Operating Loss Limitation Rules to Certain M&A TransactionsFirm Thought Leadership
IRS Issues Proposed Regulations Regarding Withholding Requirements Upon Dispositions of Partnership InterestsFirm Thought Leadership
Proposed Regulations Under Section 956 Could Expand Guarantor Group and Collateral Base for Financing Transactions Involving Domestic CorporationsFirm Thought Leadership
Baker Botts is a sponsor of the 2020 TEI Houston Chapter Tax School taking place February 24, 2020 - February 28, 2020 at the Hyatt Regency Houston.
Part Three of the Series will take place on Thursday, April 5, and will cover Miscellaneous International Changes and State and Local Tax Implications.
Part One of the Series will take place on Wednesday, March 7th and will cover Transition Tax and provide an Introduction to the New Quasi-Territorial Tax System.