Turbulence reigns over the world
of international tax planning, and Brecher's private client director Roger Holman doesn't see the pace of change decreasing.
Not exact matches
Important factors that could cause actual results to differ materially from those reflected in such forward - looking statements and that should be considered in evaluating our outlook include, but are not limited to, the following: 1) our ability to continue to grow our business and execute our growth strategy, including the timing, execution, and profitability
of new and maturing programs; 2) our ability to perform our obligations under our new and maturing commercial, business aircraft, and military development programs, and the related recurring production; 3) our ability to accurately estimate and manage performance, cost, and revenue under our contracts, including our ability to achieve certain cost reductions with respect to the B787 program; 4) margin pressures and the potential for additional forward losses on new and maturing programs; 5) our ability to accommodate, and the cost
of accommodating, announced increases in the build rates
of certain aircraft; 6) the effect on aircraft demand and build rates
of changing customer preferences for business aircraft, including the effect
of global economic conditions on the business aircraft market and expanding conflicts or political unrest in the Middle East or Asia; 7) customer cancellations or deferrals as a result
of global economic uncertainty or otherwise; 8) the effect
of economic conditions in the industries and markets in which we operate in the U.S. and globally and any changes therein, including fluctuations in foreign currency exchange rates; 9) the success and timely execution
of key milestones such as the receipt
of necessary regulatory approvals, including our ability to obtain in a timely fashion any required regulatory or other third party approvals for the consummation
of our announced acquisition
of Asco, and customer adherence to their announced schedules; 10) our ability to successfully negotiate, or re-negotiate, future pricing under our supply agreements with Boeing and our other customers; 11) our ability to enter into profitable supply arrangements with additional customers; 12) the ability
of all parties to satisfy their performance requirements under existing supply contracts with our two major customers, Boeing and Airbus, and other customers, and the risk
of nonpayment by such customers; 13) any adverse impact on Boeing's and Airbus» production
of aircraft resulting from cancellations, deferrals, or reduced orders by their customers or from labor disputes, domestic or
international hostilities, or acts
of terrorism; 14) any adverse impact on the demand for air travel or our operations from the outbreak
of diseases or epidemic or pandemic outbreaks; 15) our ability to avoid or recover from cyber-based or other security attacks, information technology failures, or other disruptions; 16) returns on pension
plan assets and the impact
of future discount rate changes on pension obligations; 17) our ability to borrow additional funds or refinance debt, including our ability to obtain the debt to finance the purchase price for our announced acquisition
of Asco on favorable terms or at all; 18) competition from commercial aerospace original equipment manufacturers and other aerostructures suppliers; 19) the effect
of governmental laws, such as U.S. export control laws and U.S. and foreign anti-bribery laws such as the Foreign Corrupt Practices Act and the United Kingdom Bribery Act, and environmental laws and agency regulations, both in the U.S. and abroad; 20) the effect
of changes in
tax law, such as the effect of The Tax Cuts and Jobs Act (the «TCJA») that was enacted on December 22, 2017, and changes to the interpretations of or guidance related thereto, and the Company's ability to accurately calculate and estimate the effect of such changes; 21) any reduction in our credit ratings; 22) our dependence on our suppliers, as well as the cost and availability of raw materials and purchased components; 23) our ability to recruit and retain a critical mass of highly - skilled employees and our relationships with the unions representing many of our employees; 24) spending by the U.S. and other governments on defense; 25) the possibility that our cash flows and our credit facility may not be adequate for our additional capital needs or for payment of interest on, and principal of, our indebtedness; 26) our exposure under our revolving credit facility to higher interest payments should interest rates increase substantially; 27) the effectiveness of any interest rate hedging programs; 28) the effectiveness of our internal control over financial reporting; 29) the outcome or impact of ongoing or future litigation, claims, and regulatory actions; 30) exposure to potential product liability and warranty claims; 31) our ability to effectively assess, manage and integrate acquisitions that we pursue, including our ability to successfully integrate the Asco business and generate synergies and other cost savings; 32) our ability to consummate our announced acquisition of Asco in a timely matter while avoiding any unexpected costs, charges, expenses, adverse changes to business relationships and other business disruptions for ourselves and Asco as a result of the acquisition; 33) our ability to continue selling certain receivables through our supplier financing program; 34) the risks of doing business internationally, including fluctuations in foreign current exchange rates, impositions of tariffs or embargoes, compliance with foreign laws, and domestic and foreign government policies; and 35) our ability to complete the proposed accelerated stock repurchase plan, among other thin
tax law, such as the effect
of The
Tax Cuts and Jobs Act (the «TCJA») that was enacted on December 22, 2017, and changes to the interpretations of or guidance related thereto, and the Company's ability to accurately calculate and estimate the effect of such changes; 21) any reduction in our credit ratings; 22) our dependence on our suppliers, as well as the cost and availability of raw materials and purchased components; 23) our ability to recruit and retain a critical mass of highly - skilled employees and our relationships with the unions representing many of our employees; 24) spending by the U.S. and other governments on defense; 25) the possibility that our cash flows and our credit facility may not be adequate for our additional capital needs or for payment of interest on, and principal of, our indebtedness; 26) our exposure under our revolving credit facility to higher interest payments should interest rates increase substantially; 27) the effectiveness of any interest rate hedging programs; 28) the effectiveness of our internal control over financial reporting; 29) the outcome or impact of ongoing or future litigation, claims, and regulatory actions; 30) exposure to potential product liability and warranty claims; 31) our ability to effectively assess, manage and integrate acquisitions that we pursue, including our ability to successfully integrate the Asco business and generate synergies and other cost savings; 32) our ability to consummate our announced acquisition of Asco in a timely matter while avoiding any unexpected costs, charges, expenses, adverse changes to business relationships and other business disruptions for ourselves and Asco as a result of the acquisition; 33) our ability to continue selling certain receivables through our supplier financing program; 34) the risks of doing business internationally, including fluctuations in foreign current exchange rates, impositions of tariffs or embargoes, compliance with foreign laws, and domestic and foreign government policies; and 35) our ability to complete the proposed accelerated stock repurchase plan, among other thin
Tax Cuts and Jobs Act (the «TCJA») that was enacted on December 22, 2017, and changes to the interpretations
of or guidance related thereto, and the Company's ability to accurately calculate and estimate the effect
of such changes; 21) any reduction in our credit ratings; 22) our dependence on our suppliers, as well as the cost and availability
of raw materials and purchased components; 23) our ability to recruit and retain a critical mass
of highly - skilled employees and our relationships with the unions representing many
of our employees; 24) spending by the U.S. and other governments on defense; 25) the possibility that our cash flows and our credit facility may not be adequate for our additional capital needs or for payment
of interest on, and principal
of, our indebtedness; 26) our exposure under our revolving credit facility to higher interest payments should interest rates increase substantially; 27) the effectiveness
of any interest rate hedging programs; 28) the effectiveness
of our internal control over financial reporting; 29) the outcome or impact
of ongoing or future litigation, claims, and regulatory actions; 30) exposure to potential product liability and warranty claims; 31) our ability to effectively assess, manage and integrate acquisitions that we pursue, including our ability to successfully integrate the Asco business and generate synergies and other cost savings; 32) our ability to consummate our announced acquisition
of Asco in a timely matter while avoiding any unexpected costs, charges, expenses, adverse changes to business relationships and other business disruptions for ourselves and Asco as a result
of the acquisition; 33) our ability to continue selling certain receivables through our supplier financing program; 34) the risks
of doing business internationally, including fluctuations in foreign current exchange rates, impositions
of tariffs or embargoes, compliance with foreign laws, and domestic and foreign government policies; and 35) our ability to complete the proposed accelerated stock repurchase
plan, among other things.
Expect multinationals to scrutinize the
international rules to manage their effective
tax rates; greater clarity on the taxation
of foreign assets should help inform spending
plans.
A territorial system could simplify taxation
of international income because exempting foreign income from taxation would reduce the sort
of tax planning now needed to optimize the use
of foreign
tax credits to shield repatriated foreign income from US
taxes.
Mr. Handa has had involvement in several
international jurisdictions and his professional experience has included: work on primary and secondary IPO listings on the Toronto and Hong Kong Stock Exchanges; experience in various debt and equity financing transactions including convertible debentures, off - take agreements, metal streaming agreements, and, brokered and non-brokered financings; implementation
of ERP systems to manage full - scale mining operations; implementation
of domestic and
international tax planning strategies; and implementation
of corporate governance and internal control policies to comply with various stock exchange jurisdictions.
Cecile is a member
of several significant professional bodies including The
International Tax Planning Association, and the Association
of International Business Lawyers.
We have worked on
international tax -
planning strategies and transactions,
international tax consequences
of cross-border acquisitions and dispositions
of businesses, dual consolidated losses, the maximum utilization
of foreign
tax credits, Subpart F taxation, transfer pricing, VAT, the PFIC rules, sourcing
of income, and the FIRPTA rules.
Trump has long said he wants to reform the nation's immigration system, but any
plan to do that seems like less
of a priority for an administration that is now focused on healthcare,
tax reform and a host
of international issues.
«I will cut your
taxes» «We'll make America strong» «I will take a hard line on
international policy» and while these ideas sound better in today's light, we should remember that at the time, members
of his own party called his economic
plan «Voodoo economics».
The Committee added that the Finance Ministry
plans to raise revenue amounting to GHc 8.9 billion for the first quarter
of 2017, saying the bulk
of this projection, GHc 7.2 billion, will be from
taxes ranging from income and property
tax to
international trade
taxes.
Her experience and expertise covers UK and
international corporate
tax planning and disputes, acting for a range
of clients from small owner - managed businesses to listed multinationals.
WASHINGTON, D.C. (WBEN)- Congressman Brian Higgins joined House Minority Leader Nancy Pelosi and members
of the Machinists Union
International to highlight issues with the Republican
Tax Plan on Wednesday.
Finance ministers from the G20 group
of leading nations have formally backed
plans to tackle
international tax avoidance and evasion.
According to an analysis done by the council that accompanied the new
plan, the carbon
tax - and - dividend system would «allow the United States to meet the upper end
of its 2025 Paris commitment,» meaning it would achieve the goal
of a 28 percent emissions reduction that the U.S. promised under the major
international Paris climate agreement.
The Guys cover a variety
of topics, including investing strategies,
tax and asset protection
planning, market and property due diligence, and even
international diversification.
US Federal Government Aid US State Government Aid Section 529
Plans: Prepaid Tuition
Plans and College Savings
Plans Education
Tax Benefits Employer Tuition Assistance School Financial Aid Office Web Sites Tuition Payment
Plans School - Specific Scholarships and Fellowships Financial Aid for
International Students Financial Aid for Canadian Students Financial Aid for Disabled Students Financial Aid for Students with Learning Disabilities Financial Aid for Female Students Financial Aid for Minority Students Financial Aid for Older and Nontraditional Students Financial Aid for Jewish Students Financial Aid for Gay and Lesbian Students Financial Aid for Graduate School Financial Aid for Business School Financial Aid for Law School Financial Aid for Medical School Contests Domestic Exchange and Study Abroad Programs Distance Learning and Continuing Education Grants Sports / Athletic Aids Specific Majors or Courses
of Study Scholarship Lotteries College Partnerships State Residency Requirements (In - State Tuition) Undocumented Students and Illegal Aliens Financial Aid for Native American Students Private Elementary and Secondary School Aid Education Loans for Private K - 12 Schools Scholarships for Private K - 12 Schools Student Sponsorships and Education Investments What can you do if your parents refuse to help?
Regardless
of which 529 savings
plan you choose, you can withdraw the money
tax - free for expenses incurred at any eligible school in any state, and even for certain
international schools.
The All Inclusive
Plan includes; Daily meals and snacks, Domestic and selected
international alcoholic and nonalcoholic beverages,
Taxes and gratuties and eleven bars, including a swim - up bar, Water polo, Kayaking, Catamaran, Snorkeling, Aqua aerobics, Windsurfing, Use
of sunfish and small sailboats, Use
of swimming pool / spa tub / beach and pool chaise lounges / towel service, Tennis Basketball, Table games, Billiards, Ping - pong, Bocce, Beach football, Volleyball, Use
of fitness center, Aerobics, Merengue and Bachata, Spanish, Scuba - diving lessons in the pool, Nightly theme performances, Entrance to and drinks at disco / sport bar, Casino.
Plan of action - CO2 emissions
tax, deregulate low polluting technology and remove current barriers
of new technology per usual pick and choose government interference, facilitate standards to coordinate national and
international energy development, subsidize ultra low polluting power generators and fuel to poor countries, investment dollars awarded to highest rate
of return for CO2 emission reduction upon global market, rate
tax expenditures and promising technology by independent accounting agency bonded to ensure loss
of political and personal cronyism influence.
Joining us are two experts in the field, Lawrence H. Heller, an
international tax and estate
planning attorney at the firm Bryan Cave, and Thomas Featherston, the Mills Cox professor
of law at Baylor Law School and a leading scholar in probate and trust law.
United States Trump allies press Rosenstein in private meeting in latest sign
of tensions, Washington Post Republicans fear political risk in Senate races as House moves to extend
tax cuts, Washington Post
International Backbench MPs table motion to force vote on EU customs union, The Guardian China looks to speed up chip
plans as U.S. trade tensions boil: sources, Reuters
A member
of Sutherland's
Tax Practice Group, Mr. Chase focuses his practice on domestic and international tax planning and the taxation of financial produc
Tax Practice Group, Mr. Chase focuses his practice on domestic and
international tax planning and the taxation of financial produc
tax planning and the taxation
of financial products.
Joining us are two experts in the field, Lawrence H. Heller, an
international tax and estate
planning attorney at the firm Bryan Cave, and Thomas Featherston, the Mills Cox professor
of law at Baylor Law -LSB-...]
Nicole acts for many high net worth individuals and her work includes advising on inheritance
tax and estate
planning via wills and trusts; the administration
of estates, often with an
international element; Court
of Protection matters, including deputyships, lasting powers
of attorney and enduring powers
of attorney; elderly client matters; and declarations
of trust.
In support
of our energy practice, our
tax lawyers participate in
tax planning for all types
of domestic and
international oil and gas transactions, including master limited partnerships (MLPs), renewable energy project finance and
tax equity matters, and large - scale utility transactions.
The public started accusing them
of dodging
taxes, and
tax laws started being criticized for not having kept pace with
international tax planning.
Finally, in addition to the Energy
Plan and the Clean Call for Power, the government has also embarked on a whole slew
of climate change related legislation — some which received
international attention (our Carbon
Tax) and some is still sitting on the sidelines (Cap and Trade).
Ron Scharnberg centers his practice on a wide range
of tax matters, with particular emphasis on the federal
tax planning and structuring
of domestic and
international mergers and acquisitions,
tax - free reorganizations, spin - offs and divestitures, joint ventures, restructurings, financial instruments and financing transactions.
Lucy's practice is devoted to estate and trust
planning and administration matters and, as such, she advises Canadian and
international clients on a wide range
of estate, trust and
tax matters.
John is a Fellow
of the Association
of Chartered Certified Accountants and a member
of the Society
of Trust and Estate Practitioners and the
International Tax Planning Association.
Our Private Client team can advise on the full spectrum
of private client matters including: Wills and Lasting Powers
of Attorney; succession
planning; UK and
international trusts;
planning for non-UK domiciliaries; obtaining probate, estate administration and post-death variations; taxation; charities; heritage property; landed estates; and
tax litigation.
Mark Kmiecik is a corporate attorney in the Milwaukee office
of Davis & Kuelthau where he advises clients on
international, federal, state, and local
tax matters, as well as represents clients in the areas
of estate
planning, probate and trust administration, business succession
planning, marital property, and
tax planning.
Hyowon Lee advises domestic and
international corporations on a variety
of cross-border
tax issues involving
tax planning, debt financings, stock and asset acquisitions, and corporate restructurings.
Carol P. Tello is a member
of the
Tax Practice and focuses primarily on international tax matters, including a broad range of cross-border tax planning and IRS controversy matters for both business entities and individua
Tax Practice and focuses primarily on
international tax matters, including a broad range of cross-border tax planning and IRS controversy matters for both business entities and individua
tax matters, including a broad range
of cross-border
tax planning and IRS controversy matters for both business entities and individua
tax planning and IRS controversy matters for both business entities and individuals.
Mr. Cohen's practice includes representing U.S. and foreign clients in all aspects
of domestic and
international tax planning and controversy matters.
He undertakes all aspects
of private client work and advises a broad range
of domestic and
international clients on their succession and
tax planning affairs.
His practice covers a broad spectrum
of business and personal
tax planning, with a particular focus on financings, mergers and acquisitions, divestitures, corporate and trust structuring, and
international tax planning.
With more than 20 years
of experience in
international business
tax planning, Randy guides companies through the intricacies
of U.S. and foreign
tax rules and accounting considerations while achieving their corporate business objectives.
These areas include: doing business abroad, including through low
tax jurisdictions; the remittance
of foreign earnings from foreign subsidiaries
of Canadian corporations;
planning for interaction with Canada's network
of international tax treaties and
international tax issues; transfer pricing; personal emigration from and immigration to Canada; customs
planning, including customs valuations, tariff classification and rules
of origin considerations.
We also advise both domestic and
international clients and corporate financiers investing outside
of the U.S. on
international tax planning and structuring concerning foreign investments.
International Estate Planning: assists with tax and estate planning for multiple generations of international families and trustees of off
International Estate
Planning: assists with tax and estate planning for multiple generations of international families and trustees of offshore
Planning: assists with
tax and estate
planning for multiple generations of international families and trustees of offshore
planning for multiple generations
of international families and trustees of off
international families and trustees
of offshore trusts.
Hamilton advises on all aspects
of UK and
international commercial
tax matters, including
tax planning -LSB-...]
Our private client team provides advice in respect
of tax and trust issues, estate management and
planning; charities; Wills and probate; contentious probate including litigation and dispute resolution relating to Wills, estates and trusts; and
international private client services.
Wealth Management: counsels multiple generations
of domestic and
international families on all aspects
of wealth management, including development and implementation
of estate
planning strategies designed to minimize
taxes and preserve family wealth.
Buchalter is a full - service business law firm representing local, regional, national, and
international clients in a multitude
of practice areas and their subspecialties, among them: Bank and Finance, Corporate, Health Care, Litigation, Insolvency and Financial Law, Intellectual Property, Labor and Employment, Real Estate, and
Tax and Estate
Planning.
Wealth Management: Mr. Cheever represents multiple generations
of domestic and
international families, focusing on the
tax - efficient transfer
of wealth from older to younger generations using a variety
of sophisticated
planning techniques.
Since its formation, the firm has also expanded its practice areas from business,
tax and litigation to a full range
of practice areas which now also include
international law, real estate, professional liability, probate litigation, family law and estate
planning.
Mr. Bassett's practice focuses on
international tax planning for both the outbound operations
of U.S. multinationals and the inbound operations
of foreign multinationals.
Kip Cawley, a partner in Foley Hoag's
Tax Group, focuses his practice on a variety of domestic and international business tax planning matte
Tax Group, focuses his practice on a variety
of domestic and
international business
tax planning matte
tax planning matters.
Tax attorneys deal with a variety of tax - related issues, including estate planning, domestic and international business, the IRS, and mo
Tax attorneys deal with a variety
of tax - related issues, including estate planning, domestic and international business, the IRS, and mo
tax - related issues, including estate
planning, domestic and
international business, the IRS, and more.