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Webcast: Accommodating Non-U.S. Investors: Structuring Real Estate and Other Fund Investments to Minimize U.S. Tax Impacts

September 15, 2016

Non-U.S. investors present a significant source of capital for hedge funds and private equity funds. These investors are primarily concerned with avoiding U.S. tax filing obligations and paying U.S. tax on “effectively connected income” which can result from a non-U.S. investor’s investment in U.S. real estate, certain U.S. loans and U.S. operating companies. In this course, Tannenbaum Helpern tax attorneys Michele Itri and David Schulder along with RSM US LLP's International Tax Principal Mark Strimber discussed certain blocker structures and other techniques that can be used to accommodate these concerns and minimize the U.S. tax drain on investment returns of non-U.S. investors.



 

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