International Tax & Estate Planning: A Practical Guide for Multinational Investors

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International Tax & Estate Planning: A Practical Guide for Multinational Investors
Authority and Product DescriptionThis new edition completely updated you step by step through all the factors you must consider to achieve predictable, preservation of wealth in the outcome of the tax and estate planning. You will discover how to reduce taxes, to ensure the provision of goods, protect privacy, maintain security of the estate, and even to manage property in the event of incapacity of the principal. Published in looseleaf format and updated bi-annually, International Tax & Estate Planning is filled with interesting strategies for the preservation of the estate. Find out how to protect against nightmarish complexity referral forced heirship in the civil law jurisdictions, and the negative impact of the common law. You can also obtain tax strategies to leverage the assets, such as use of a transitional position to cut taxes and protective devices for companies based in pay, but potentially unstable foreign states. You'll find answers to critical questions such as: How can we protect the investments of multinational investors against government expropriation or nationalization? What will the impact of the draft Regulations of the Treasury has on estate planning? How can problems such as forced heirship rules and common law be minimized or avoided? How can conflicts of law between sovereignty be handled? What steps can be taken to ensure predictability? International Tax & Estate Planning presents a clear and practical approach of a person who deals with private, its management and disposal. It is an indispensable resource for lawyers, private bankers (both investment and commercial), accountants and investment advisors. ABOUT THE AUTHOR ROBERT LAWRENCE C. III is recognized as an authority in both domestic and international tax, trust, and planning issues. It focuses on the advice of wealthy individuals and families regarding international and domestic tax efficient structures for their U.S. operations and global focus on reducing taxation, management of these farms and the transfer of family members, entities, trusts, and / or charities. Mr. Lawrence has joined the law firm Cadwalader, Wickersham & Taft LLP in 1966 and has been associated since 1974. He is chairman of Cadwalader-s Private Client Department. About the author Robert C. Lawrence III has been a partner in the New York office of Cadwalader, Wickersham & Taft since 1974 and is recognized as an authority in both domestic and international tax, trust, and planning issues.
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