The recently-proposed Treasury regulations under Section 1061 answered many questions that have been debated since the 2017 Tax Act enacted Section 1061. However, some open questions remain. This presentation explores the implications to private equity funds and portfolio companies in the energy industry.
New Proposed Carried Interest Regulations
Our presenters share perspectives and important updates on the following:
- Impact of recent IRS proposed regulations
- Understanding the 3-year holding period
- Potential tax planning opportunities
- Best practices in compensation arrangements involving carried interest
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This webinar is for all levels of business professionals, accountants and CFOs. Please note that CPE credit is not awarded for recorded webinars. Keep an eye on our events page, or sign up to receive invites for future webinars.