Tax Implications of § 363 Sales

Hosted by the Legislation and Bankruptcy Taxation Committees.

This session will address various tax implications that need to be
considered by bankruptcy practitioners in connection with § 363 sales,
including cancellation of indebtedness income, net operating losses and
tax-free/deferred “G Reorganization” transactions. The panel will also
discuss a timetable of decision points as to when tax-related issues need to be considered
by practitioners in order to avoid unanticipated adverse
tax consequences

Price: $25.00
SKU: 172937
60 mins
John R. Lehrer, III BakerHostetler; Washington, D.C. Neil Luria SOLIC Capital Advisors, LLC; Evanston, Ill. Matthew Schwartz Bederson LLP; West Orange, NJ Hon. S. Martin Teel U.S. Bankruptcy Court, District of Columbia
Media: Video

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