Wednesday, August 23, 2017

International Tax Forms Update

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International Tax Forms Update
September
 
5
1 pm - 2:30 pm ET
Presenters: Mark Peltz and Eduardo Chung, of Mazars USA LLP
Credits: CPE, IRS EA, CLE in all states (Credit Details)
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Course Description
 
International taxation remains a hot button for the Internal Revenue Service. Consistently, there have been a slew of changes to various international reporting forms. In this webinar, you'll learn about recent changes and updates to international tax forms. Upon completion of the course, you'll be able to describe recent changes affecting the following forms:
  • Form 5471: Information Return of U.S. Persons With Respect to Certain Foreign Corporations;
  • Form 5472: Information Return of a 25% Foreign-Owned U.S. Corporation or a Foreign Corporation Engaged in a U.S. Trade or Business;
  • Form 8938: Statement of Specified Foreign Financial Assets;
  • Form 8621: Information Return by a Shareholder of a Passive Foreign Investment Company or Qualified Electing Fund; and
  • Form 8865: Return of U.S. Persons With Respect to Certain Foreign Partnerships
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About The Presenters
 
Mark C. Peltz is principal at Mazars USA LLP. Mr. Peltz has over 35 years of experience delivering domestic and international tax planning services to corporations and high-net-worth individuals. He specializes in foreign concession agreements, foreign tax credit calculations, cross border financins and bilateral transfer pricing agreements. Mr. Peltz lectures at the New York University School of Professional Studies Institute on Federal Taxation. He is a graduate of New York University School of Law.
The Presenter
The Presenter
 
Eduardo S. Chung is practice leader of the Tax Practice and Procedures Group at Mazars USA LLP. Mr. Chung has a decade of experience representing individuals, estates, C corporations, subchapter S corporations and other flow-through entities. Prior to joining Mazars USA, Mr. Chung was an associate in a boutique tax firm, where he participated in the litigation of a variety of federal and state tax controversies. He is a graduate of Georgetown University Law Center.
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