International Tax Institute, Inc.



 
Our Next Seminar

Wednesday, February 8, 2012

Section 892 Proposed Regulations --
A Big Step Towards Fixing a Big Mess

 

with

Ronald A. Dabrowski
Deputy Associate Chief Counsel (International-Technical)
Internal Revenue Service

William McRae
Cleary Gottlieb Steen & Hamilton LLP

Gordon Warnke
Dewey & LeBoeuf LLP

Proposed regulations issued under section 892 this past November, and related proposed regulations issued under section 871(m) this January, set forth the first and very constructive set of guidance since 1988 on a number of vexing U.S. tax issues affecting foreign governments.  Section 892, which provides exemption for certain limited categories of U.S. source financial income, once was a sleepy little provision relating primarily to one-off investments in the US by foreign governments or their controlled entities.  Given the increasing prevalence of sovereign wealth fund and sovereign pension fund investments in the U.S. economy, our distinguished speakers will examine some of these vexing issues, including the "all or nothing" rule under which a controlled entity, but not the sovereign itself, can lose the benefits of section 892 completely as a result of realizing even a dime's worth of unrelated "commercial activity" income, and will discuss how they are addressed under the proposed regulations, as well as suggest areas where additional guidance might be appropriate.

Time:  12:15 pm - 2:00 pm

Location:  Grand Hyatt New York at 109 East 42nd Street, New York, NY

To register, click  "Online Store"        

New prices for our luncheon seminars:

Members:  $100
Non-members:  $140

The Grand Hyatt New York is on 42nd Street next to Grand Central Station.

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