Morgan Klinzing’s practice focuses on federal and international income tax, with a focus on the private equity arena and pass-throughs.
Morgan represents clients in domestic and cross border M&A, fund formation and structuring, reorganizations and partnership agreements.
Morgan is chair of the Young Lawyers Forum of the Tax Section of the American Bar Association and a frequent speaker on a variety of transaction tax matters.
This presentation will address the impact of the three-year holding period requirement for carried interest under Section 1061 and the recently released proposed regulations. Topics covered in the presentation will include understanding the impact of...