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Tax-affecting S Corp earnings continues to be one of the most challenged (and challenging) business valuation issues. In the wake of the Gross case and its progeny (Heck and Adams), questions still abound. Should S Corps earnings be tax-affected for valuation purposes? How do you protect your clients from the type of IRS questioning that can ensue? And do S Corps really have an inherent value higher than that of C Corps?
This conference includes a stellar panel of experts—perhaps the leading authorities on tax-affecting issues—to answer these questions, as well as provide updates on S Corp valuations in the courts, and more.
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