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Bankruptcy and Insolvency Taxation, 2008 Cumulative Supplement
 
 
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Bankruptcy and Insolvency Taxation, 2008 Cumulative Supplement [Paperback]

Grant W. Newton (Author), Robert Liquerman (Author)

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Book Description

0470135751 978-0470135754 November 3, 2008 3
The thousands of mergers, acquisitions, and start-ups that have characterized the past ten years of business have created an increasing number of corporations in financial trouble: specifically, a shortage of venture capital or quick cash. Consequently, bankruptcy protection is now viewed as a strategic move to protect corporations from their creditors and allow them to reorganize. Bankruptcy and Insolvency Taxation, Third Edition provides the answers to the questions financial managers will have on the tax aspects of the "bankruptcy strategy."

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About the Author

Grant W. Newton, Professor Emeritus in Accounting, Pepperdine University, Malibu, California, is the author of Bankruptcy and Insolvency Accounting; Practice and Procedure and Corporate Bankruptcy (2003), also published by John Wiley & Sons. He is the Executive Director of the Association of Insolvency and Restructuring Advisors, and he developed and teaches the three courses that lead to the Certified Insolvency and Restructuring Advisor (CIRA) designation. A CPA, CIRA, and CMA, he received a Ph.D. from New York University, a Master’s degree from the University of Alabama, and a B.S. degree from the University of North Alabama.
Dr. Newton was a member of the AICPA’s Task Force on Financial Reporting by Entities in Reorganization Under the Bankruptcy Code that resulted in the issuance of the Statement of Position 90-7. He is coauthor of Consulting Services Practice Aid 02-1: Business Valuation in Bankruptcy and Providing Bankruptcy & Reorganization Services—Practice Aid, both published by the AICPA. He serves as a consultant and expert witness on issues dealingwith financial reporting during and emerging from chapter 11, valuation, terms of plan, tax impact of plan, tax issues related to the bankruptcy estate, and recovery of assets.

Robert Liquerman is a principal in KPMG LLP’s Washington National Tax Practice, Corporate Tax Group, specializing in matters under Subchapter C of the Internal Revenue Code. He is an adjunct professor of law in the LL.M. program at the Georgetown University Law Center and previously served as an adjunct professor in the LL.M. program at The College of William & Mary, Marshall-Wythe School of Law.
Mr. Liquerman holds an LL.M. in Taxation from New York University School of Law, a J.D. from St. John’sUniversity School of Law, and a B.S. in Accounting from the State University of New York at Binghamton.
He joined KPMG LLP from the Internal Revenue Service Office of the Chief Counsel, Corporate Division. In this position, he drafted treasury regulations, private letter rulings, technical advicememoranda, closing agreements, responses to congressional inquiries, field service advice, and memoranda of law. Prior to his government experience, Mr. Liquerman was a senior tax associate in the mergers and acquisition group and the insurance group in the New York office of Coopers & Lybrand.
He is a frequent speaker on bankruptcy and tax issues at various tax institutes and conferences around the country, including Tax Executives Institute, Federal Bar Association, DC Bar Association, and the Association of Insolvency and Restructuring Accountants. Mr. Liquerman is a member of the American Bar Association, Section of Taxation.
Although Chapters 2, 5, 6, and 7 reflect the views of Robert Liquerman, they do not necessarily reflect the views of KPMG LLP.


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Inside This Book (learn more)
Key Phrases - Statistically Improbable Phrases (SIPs): (learn more)
tax discharge, financially troubled business, tax determination, tax consequences, tax liens, debt forgiveness, valuation date, consolidated subsidiary member, net value requirement, disconformity amount, positive investment adjustment amount, local law imposing, separate taxable estate, consolidated return year, local tax purposes, fourth full paragraph, target corporation shareholders, insolvency operation, second ownership change, carryover paragraph, local income tax purposes, issuing corporation stock, second full paragraph, deemed satisfaction, contingent adjustments
Key Phrases - Capitalized Phrases (CAPs): (learn more)
Bankruptcy Code, Regulation Section, Private Letter Ruling, Tax Court, United States, Corporate Reorganizations, Fashion Park, Related Items, Alternatives Available, Gilbert Hahn, Use of Net Operating Losses, Elements Common, Bankruptcy Estates, General Provisions, Internal Revenue Code, Discharge of Indebtedness, Insolvency Reorganizations, Consolidated Groups, Rite Aid, Transfer of Property, Centralized Insolvency Operation, Tax Penalty, Garber Industries, Supreme Court, Revenue Procedure
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Front Cover | Table of Contents | First Pages | Index | Back Cover | Surprise Me!
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