Appel Speaks at ‘Current U.S. Tax Planning for Foreign-Controlled Companies’
June 11, 2012
New York Counsel Alan Appel will serve as a speaker at “Current U.S. Tax Planning for Foreign Controlled Companies,” sponsored by Bloomberg LP, set for June 11-12.
Appel will speak June 12 on how to understand U.S. taxation of foreign investment in real property. He will cover legal and tax aspects of structuring and restructuring U.S. real estate interests, U.S. taxation of U.S. real estate activities, special considerations for partnerships and withholding taxes and documenting the FIRPTA withholding tax on the sale or transfer of a U.S. RPI.
Appel focuses his practice in international and domestic tax planning involving taxation of mergers and acquisitions, partnerships, joint ventures, limited liability companies and tax controversy.
This event will take place at Bloomberg LP’s offices in New York, N.Y., and will cover the latest U.S. legal, tax and financial issues facing foreign multinationals doing business in the United States.