Filtering by: Stanley C. Ruchelman
In June at the STEP International Tax and Estate Planning Forum in Rancho Palos Verdes, California, renowned local and international speakers will present sessions that delve into crucial issues for your practice.
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The 25th Annual U.S. and Europe Tax Practice Trends Conference will focus on practical tax practice trends for multinational corporations and their international advisors, as well as provide insight into how government tax officials may view the international tax landscape in light of important international developments that impact corporate taxpayers. Panelists will include industry leaders, senior government and OECD officials, and leading tax practitioners from the United States and Europe.
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On March 28, Stanley C. Ruchelman will be speaking on a panel titled, "Family Office Concerns" at the 53rd Annual Conference of the USA Branch of the International Fiscal Association.
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The 16th Annual U.S. and Latin America Tax Practice Trends Conference will focus on practical tax practice trends for multinational corporations and their international advisors, as well as provide insight into how government tax officials may view the international tax landscape in light of important international developments that impact corporate taxpayers. Panelists will include industry leaders, senior government and OECD officials, and leading tax practitioners from the United States and Latin America.
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The 24th Annual U.S. and Europe Tax Practice Trends Conference will focus on practical tax practice trends for multinational corporations and their international advisors, as well as provide insight into how government tax officials may view the international tax landscape in light of important international developments that impact corporate taxpayers. Panelists will include industry leaders, senior government and OECD officials, and leading tax practitioners from the United States and Europe.
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Stanley Ruchelman will speak at a Strafford webinar on Economic Substance Doctrine held on May 30, 2023, from 1:00 p.m. to 2:50 p.m. E.D.T.
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The 23rd Annual U.S. and Europe Tax Practice Trends Conference will focus on practical tax practice trends for multinational corporations and their international advisors, as well as provide insight into how government tax officials may view the international tax landscape in light of important international developments that impact corporate taxpayers. Panelists will include industry leaders, senior government and OECD officials, and leading tax practitioners from the United States and Europe.
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Galia Antebi and Stanley Ruchelman will be speaking at the Shenkman Private Client Group of Oppenheimer & Co. Inc’s Spring Accountant/Attorney Webinar on U.S. Estate and Gift Planning for Foreign Parents With U.S. Children on May 13, 2021, at 8:30 a.m. Eastern Time.
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Galia Antebi and Stanley Ruchelman will be speaking at the Shenkman Private Client Group of Oppenheimer & Co. Inc’s Spring Accountant/Attorney Webinar on U.S. Estate and Gift Planning for Foreign Parents With U.S. Children on May 13, 2021, at 8:30 a.m. Eastern Time.
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Stanley Ruchelman will be speaking in a webinar on Home Thoughts From Abroad – Tips to Advising Foreign Clients Purchasing U.S. Homes as part of the NYSBA’s 16th Annual International Estate Planning Institute on March 18, 2021, which begins at 8:00 a.m. Eastern Time.
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Ruchelman P.L.L.C. is a co-chair sponsoring the NYSBA program on Global Tax Policy in the Age of COVID-19 – Common Issues, Varying Responses on March 4, 2021, at 9:00 a.m. E.D.T.
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Ruchelman P.L.L.C. will speak at a Strafford webinar on Taxation of Foreign Source Income on February 18, 2021, from 1:00 p.m. to 2:50 p.m. E.D.T.
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Ruchelman P.L.L.C. will host a Webinar on G.I.L.T.I. Tax: Inclusion, Reporting, Exceptions on October 29, 2020, from 10:00 a.m. to 12:00 p.m. E.D.T.
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AKD Benelux Lawyers and Ruchelman P.L.L.C. (New York), in close cooperation with the American Chamber of Commerce in Belgium, cordially invite you to participate on September 10, 2020 at 9:00 a.m. E.D.T. Brussels time/CEST in a free and interactive webinar on the EU law aspects, as well as the Benelux and U.S. tax law aspects, of State Aid and the fate of multinational corporations that received favorable tax rulings from national tax authorities.
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Join Stanley C. Ruchelman and the Society of Trusts and Estates Practitioners (STEP) for an afternoon program addressing the impact of the landmark 2017 U.S. tax reform. The panel will discuss how the measures have reshaped the landscape of cross-border tax planning over the past two years.
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The U.S. and Western Europe have long been linked by strong cultural ties, and it is not surprising that today many families face cross-border issues involving these regions. Now, more than ever, it is necessary for wealth planning professionals to see beyond the borders of their country in order to understand the multi-jurisdictional issues that impact their clients.
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The U.S., Switzerland, and Italy have long been linked by strong cultural ties, and it is not surprising that today many families face cross-border issues involving all three countries. Now, more than ever, it is therefore necessary for wealth planning professionals to see beyond the borders of their country in order to understand the multi-jurisdictional issues that impact their clients.
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Thinking of Sweden this spring? Join the International Section of the New York State Bar Association for their regional meeting in Stockholm to network with leading international attorneys, gain up to 11.5 NY MCLE credits, and discuss on hot topics in international law.
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Ruchelman is proud to support the U.S. and Europe Tax Practice Trends joint conference of the ABA, IBA, and IFA, now in its 19th year. On April 4, attendees can join Stanley C. Ruchelman for a discussion on “Cross Border Financing: The Evolving View of the OECD and Others.”
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This C.L.E./C.P.E. webinar will provide tax professionals guidance on new rules and proposed regulations governing the taxation of foreign source income. The panel will present an in-depth analysis of the expansion of Subpart F, the dividends-received deduction ("D.R.D."), and tax implications of sales or transfers of foreign corporations by U.S. Shareholders, and will provide guidance on avoiding pitfalls in planning and compliance.
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When a taxpayer receives an information document request (“I.D.R.”) from the I.R.S. for transfer pricing documentation, it should know what to expect: a lengthy, contentious process of documenting and defending its tax position. Pausing to think objectively about the cognitive biases, strengths, and weaknesses underlying a transfer pricing position is an essential step to take before delving into the technical aspects of the examination itself.
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Part two of our series will address recent U.S. tax reform, including these and other key issues: the Dividends Received Deduction, G.I.L.T.I., F.D.I.I., B.E.A.T., and Q.B.I.
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The first in a two-part series, this program will address the core concepts of U.S. tax law, including these and other key issues: entity classification rules (classification of foreign entities as corporations, partnerships, and single-member L.L.C.’s for U.S. tax purposes), Controlled Foreign Corporations, Passive Foreign Investment Companies, and distributions from corporations.
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Three years have passed since the O.E.C.D./G-20 Base Erosion and Profit Shifting Project identified 15 Actions necessary for preventing loss of tax revenue through abusive, cross-border tax planning. In the interim, countries have taken action to implement these recommendations. Panelists from Brazil, India, the Netherlands, and the U.S. will explain how the B.E.P.S. Actions are applied on the ground in various regions.
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This CLE/CPE webinar will provide tax professionals guidance on new rules and regulations governing the taxation of foreign source income. The panel will present an in-depth analysis of the expansion of Subpart F, the dividends received deduction ("D.R.D."), tax implications of sales or transfers of foreign corporations by U.S. shareholders, and provide guidance on avoiding pitfalls to ensure tax savings and reporting compliance.
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Ruchelman is pleased to lend its support to the 18th Annual Tax Planning Strategies – U.S. and Europe. On April 12, Stanley C. Ruchelman will speak on the Impact of U.S. Tax Reform on International Structures.
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Tax reform in the U.S., Brexit in the U.K., and international efforts to fight base erosion and profit shifting are changing the tax landscape. Panelists will discuss how the new environment affects companies engaged in business between the U.S. and the U.K.–and the lawyers who advise them.
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This program will describe the unique challenges for mid-sized companies in planning, implementing, documenting, and managing controlled cross-border transactions and in dealing with tax authority controversy. Best practices and key points for advisors will be presented to explain how a company can meet its compliance obligations while acknowledging actual business practices.
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This Ruchelman international tax luncheon addresses planning opportunities for Spanish investment, including well-known and little-known vehicles for structuring investments in and through Spain, such as the E.T.V.E., the S.O.C.I.M.I., and the Z.E.C. The program features guest speakers José María Cusí and Juan Roda of CHR Legal, Barcelona.
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