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Tax Series Special Update: Tax Practice After the Tax Cuts and Jobs Act
Louis S. Freeman
Corporate & Securities, Tax
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Table of Contents
Table of Contents
Chapter 1. Some Impacts of the Tax Cuts and Jobs Act on Choice of Entity Considerations for Closely Held Businesses
Chapter 2. Effective Tax Rates for Typical High-Income Taxpayers
Chapter 3. A Business Person’s Guide to the Impact of the 2017 Tax Act on Merger & Acquisition Activity and Structures
Chapter 4. U.S. Tax Reform—Observations on M&A Tax Considerations (March 26, 2018)
Chapter 5. Tax Reform: Issues for Corporate M&A
Chapter 6. To Spin, or Not to Spin: Tax Reform and the Decision to Pursue a Spin-off
Chapter 7. “Making the U.S. Tax Code Great Again”: Reforms to the International Taxation of U.S. Corporations Level the Playing Field for U.S. Corporations Doing Business
Chapter 8. Cross-Border Acquisitions Following the Tax Cuts and Jobs Act
Chapter 9. INEs and Outies: How U.S. Tax Reform’s Anti-Hybrid Rules Affect U.S. Outbound Investment in Brazil
Chapter 10. U.S. Tax Reform and Intangible Property: To Inbound, or Not to Inbound
Chapter 11. Ruminations on the BEAT and Foreign Banks Operating in the United States (March 27, 2018)
Chapter 12. Application of TCJA 100% Expensing Allowance to Common Partnership Transactions
Chapter 13. Taxation of Foreign Persons Who Dispose of Interests in Partnerships (March 18, 2018)
Appendix: The Tax Cuts and Jobs Act
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