Treatise Update – Langer on Practical International Tax Planning (Fifth Edition)

Langer on Practical International Tax Planning gives you the latest news on the legal, tax, business, financial, social, political, technological, geographical, and regional factors to consider when developing and implementing customized planning strategies for clients. It is an invaluable tool for tax and estate planners, tax attorneys, accountants, and sophisticated investors.

This new release updates the treatise with up-to-date practical information and analysis to help preserve your clients’ assets. Highlights include:

  • Revised section 20:9, Abusive Transactions, explores the difference between “forfeiture” and “restitution,” pointing out that the two items have different purposes.
  • Revised section 38:1.3[F], No Reduction for Deductions or Expenses, discusses final regulations issued in January 2021 providing additional guidance regarding the limitation on the deduction for business interest expense under section 163(j); specifically, the regulations address the application of the limitation in contexts involving passthrough entities, regulated investment companies (RICs), and controlled foreign corporations.
  • New section 43:2.2[B], Microcaptive Insurance Companies, examines the four-part test used by the Tax Court to determine whether these arrangements actually constitute deductible “insurance” (that is, as involving risk-shifting, risk-distribution, insurance risk, and whether the arrangement “looks like” commonly accepted notions of insurance).

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PLI PLUS subscribers can access this title through their subscription.