In its recent decision in Grecian Magnesite, the U.S. Tax Court rejected Revenue Ruling 91-32, holding that a foreign partner is not subject to U.S. tax on a sale or redemption partnership engaged in a U.S. trade or business. The panelists successfully tried this case and will present their views on its significance.
Date:
Wednesday, November 29, 2017
Time:
12:30 p.m.–1:50 p.m. (Light lunch served)
Location:
New York Law School, W400
185 West Broadway, New York, NY 10013
RSVP:
www.nyls.edu/taxlawrsvp
CLE:
1.5 credits in Professional Practice, transitional and non-transitional
Contact:
ashley.oliver@nyls.edu • 212.431.2147
Panelists:
Ellen S. Brody, Partner, Roberts & Holland LLP
Michael J. Miller, Partner, Roberts & Holland LLP