This panel of international tax experts will address the current U.S. tax rules applicable to foreign investment in U.S. real estate, with a focus on the taxation of operating income and gains from dispositions of U.S. real property interests. The session will address the impact of having a tax treaty between the U.S. and the investor’s home country and the consequences of the absence of such a treaty.
Alan I. Appel, Professor of Law; Director, International Tax Program, NYLS
Eric Homsi, Tax Associate, Bryan Cave Leighton Paisner LLP
Fanny Karaman ’12 LL.M., Associate,Kozusko Harris Duncan LLP
Wednesday, November 6, 2019
6:00 p.m.–7:30 p.m.
New York Law School, Auditorium
185 West Broadway, New York, NY 10013
1.5 credits in Areas of Professional Practice (NY transitional and nontransitional)