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International Tax Issues (PLI Webcast)
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International Tax Issues (PLI Webcast)

Groupcast at the offices of the Atlanta Bar Association

When: 02/11/2015
9:00 AM to 5:00 PM
Where: Atlanta Bar Association
229 Peachtree Street NE
Suite 400
Atlanta, Georgia  30303
United States
Contact: (404) 521-0781

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Practicing Law Institute and Atlanta Bar CLE will continue working together to bring PLI programs to you! 
PLI is dedicated to providing the legal community with the most up-to-date, relevant information and techniques which are critical to the development of a professional, competitive edge. 
More of PLI's sophisticated and cutting-edge programs will be webcast live at the Atlanta Bar Association Office through May 2015. 

6.3 CLE hours


As the world’s economies grow increasingly integrated, the international tax laws of the U.S. impact a greater percentage of businesses and transactions. These international tax rules affect not only large US and foreign-based multinationals, but also increasingly affect mid-sized and smaller firms, financing transactions, mergers and acquisitions, and other commercial activity. As a result, a working knowledge of these international tax rules is of paramount importance to a wide variety of tax professionals. 

At this year’s program we will assemble some of the world’s leading experts and senior government officials to discuss the complex rules of U.S. international taxation. We will focus upon both operational and transactional implications of these rules, and will describe the application of the rules to both U.S. and foreign-based entities.


What you will learn

  • Explore recently proposed International Tax Reform legislation, identifying the key concepts and predicting the future
  • Understand the nuances of dealing with international joint ventures
  • Identify cross-border merger and acquisition issues, techniques and developments
  • Get an update on new foreign tax credit regulations implementing the 2010 legislation (including splitter and covered asset acquisition structures) and Subpart F developments
  • Examine recent developments in transfer pricing audits and planning

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