January 12, 2021
Thursday, January 21 | Final Section 163(j) regulations address questions on business interest expense limitation (12:00 p.m. ET)
Please join us for an in-depth discussion of recently released final Treasury regulations that provide additional guidance for applying the Section 163(j) business interest expense limitation, including with respect to certain partnerships and controlled foreign corporations. The final regulations apply to tax years beginning on or after the date that is 60 days after the regulations are published in the Federal Register.
Date: Thursday, 21 January 2021
Time: 12:00-1:15 p.m. EST New York; 9:00-10:15 a.m. PST Los Angeles
Registration: View archive here.
Arlene Fitzpatrick, National Tax Department — International Tax and Transaction Services, Ernst & Young LLP
Jeff Erickson, National Tax Department — Passthrough Transactions Group, Ernst & Young LLP
Lee Holt, National Tax Department — International Tax and Transaction Services, Ernst & Young LLP
Colleen Zeller, National Tax Department — International Tax and Transaction Services, Ernst & Young LLP
Craig Hillier, EY Americas International Tax and Transaction Services Leader
CPE credit offered: 1.4. Recommended field of study: Taxes. Learning objective: Discuss the issues that taxpayers with business interest expense should consider in light of the final tax regulations. This intermediate level, group internet-based course has no prerequisites or advanced preparation. Final CPE award to be based on content, polling and length of participation. See CPE FAQ for more information.
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