At this Income and Transfer Tax Planning Group teleconference hosted by the International Tax Planning Committee of the American Bar Association Section of Real Property, Trust & Estate Law, RPTE Fellow Elizabeth Glasgow will review the Steinberg and Tanenblatt cases. Richard Dees will discuss the Section 1411 final regulations and the 3.8% net investment income tax. Ashley Weyenberg will discuss new info sharing procedures between US and Canada on day counting for residency. Finally, this call will cover a recent IRS PTMA on the difference between 6324(a)(1) estate tax lien and 6324(a)(2) transferee liability.
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