Brexit and Its Tax and Related Impacts on U.S. Multinationals
12 PM GMT
The U.K. planned exit from the EU will have notable ramifications in the tax arena for US multinationals with U.K. activities. Potential areas of concern include: (1) withholding tax; (2) application of other EU directives; (3) prior case law holding certain U.K. rules incompatible with EU law; (4) possible U.K. versions of EU projects (e.g., public country- by-country reporting); (5) State aid investigations; (6) customs and tariffs; (7) treaty implications; (8) EU member states’ domestic beneficial ownership rules that provide preferred treatment to EU residents; and (9) cross border restructurings. Drawing upon the experience of tax advisers and U.S. MNEs, this panel will provide a snapshot of the current status of these tax questions and offer a window into the future.
Professor Kerry Ryan, St. Louis University Law School, St. Louis, MO
Lydia Challen, Allen & Overy, London, UK
Professor Tracy Kaye, Seton Hall University School of Law, Newark, NJ
Professor Mindy Herzfeld, University of Florida Levin College of Law, Gainesville, FL
Rom Watson, Ropes & Gray, Boston, MA
PLEASE NOTE: To receive CLE credit, each individual attendee must be logged into the webinar interface for the ENTIRE program (including the Q&A). Partial credit is not available for this program. Please see the CLE Informaton page for more details.
$75 for Section of Taxation Members
$150 ABA Member*
$125 Young Lawyers
$125 Government / Academic / Non-Profit
$195 All other registrants
FREE Full-time J.D., LL.M., or M.T. Candidates (No CLE Credit/Webcast Only)
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