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61 Major Tax Plan. i (2009)

handle is hein.journals/majtxpl61 and id is 1 raw text is: 





Sixty-First Annual

Tax Institute



CORPORATE - LARGE & PRIVATELY HELD: Current Developments in Corporate Tax; Reflections
on the Current State of Attributional Nexus: When May a State Use the Presence of an In-State Entity
to Claim Jurisdiction Over an Out-of-State Seller; Two-Step Acquisitions; A Little Knowledge Can Be a
Good Thing: Practical Strategies for Investment in the United States, Europe and Asia; Choice of Entity:
Considerations and Consequences.
PARTNERSHIPS,   REAL ESTATE,  INDIVIDUAL  &  ENFORCEMENT: Foreign Bank Secrecy   No More
-  A New Era of International Tax Enforcement; Recent Developments in Partnership Taxation; Partner
Guarantees in Debt Workouts; Everything You  Wanted  to Know  About  Like-Kind Exchanges;
Acquisitions Using Tax Partnerships - Selected Issues; Several Thoughts on Drafting Target Allocation
Provisions.
ESTATE  PLANNING:   Hot Topics in High Net Worth Tax Planning; California Administrative Tax
Procedure; Recent Wealth Transfer Tax Developments; International Estate Planning; Cross-Border
Philanthropy; Drafting and Planning to Minimize the Generation Skipping Transfer Tax.
                                 USC Gould School of Law
                                    2009 Tax Institute
As presented at the Institute and expanded beyond the original lecture form by the individual speakers,
who are authorities on the specific problems which their articles concern.



2009


* LexisNexis-

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