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Application of 1061 and the Feasibility of Carry Waivers

Gain a comprehensive understanding of the "3 Year Carry Rule" in an easy-to-understand format.

Section 1061, enacted as part of the TJCA, requires a three year holding period (rather than a one year holding period) in order for carried interest partners to qualify for long-term capital gains rates on carry proceeds (3 Year Carry Rule). The application of these rules to a typical private equity fund structure is complex and fact-specific. This topic provides a clear summary of these rules in an easy-to-understand format, identifies common misconceptions and traps for the unwary and provides practical structuring solutions to avoid or minimize the impact of the 3 Year Carry Rule. In particular, this panel will focus on the potential implementation of a carry waiver mechanism, whereby carried interest partners may avoid the short-term characterization through a waiver of their participation rights with respect to portfolio investments held for less than three years in exchange for a priority return with respect to certain qualifying investments held for more than three years. These provisions have the potential to drastically reduce or eliminate the application of short-term capital gain rates, but come with a host of technical and drafting issues that may trigger significant unintended consequences unless drafted carefully.

100 minutes
Course Exam
Certificate of Completion
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Over 37 years and 1.4 million customers worth of experience providing continuing education. Our passion is providing you world-class training to help you succeed in business and as a professional.

Agenda

Background and History of Carried Interest Legislation

Overview of the Section 1061 Rules

Potential Workarounds

  • Structuring Considerations
  • Funding Considerations for Follow-on Acquisitions

Waiver Provisions

  • Potential Issues
    • Transitory Allocations
    • Substantiality Generally
    • Constructive Receipt and Economic Substance
  • Comparison to Management Fee Waivers
  • Drafting Considerations for 1061 Waiver Provisions
    • Timing of Waiver Election
    • Waiver of Current or Future Appreciation
    • European Waterfall vs. American Waterfalls

Impact of Regulations

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Over 37 years and 1.4 million customers worth of experience providing continuing education. Our passion is providing you world-class training to help you succeed in business and as a professional.

Credits

OnDemand Course

This course was last revised on February 6, 2020.

Call 1-866-352-9540 for further credit information.

This program does NOT qualify, nor meet the National Standard for NASBA accreditation.

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Why Lorman?

Over 37 years and 1.4 million customers worth of experience providing continuing education. Our passion is providing you world-class training to help you succeed in business and as a professional.

Faculty

Morgan Klinzing

Morgan Klinzing

Troutman Pepper Hamilton Sanders LLP

  • Partner at Troutman Pepper Hamilton Sanders LLP, resident in the Philadelphia office
  • Practice focuses on federal and international income tax, with a focus on the private equity arena and pass-throughs
  • Represents clients in domestic and cross-border M&A, fund formation and structure, reorganizations, and partnership agreements
  • Frequent speaker for the American Bar Association and other professional groups on tax issues impacting flow-through entities and cross-border structuring
  • LL.M. degree in taxation, New York University
  • Can be contacted at [email protected] or 215-981-3456
David Stauber

David Stauber

Pepper Hamilton LLP

  • Partner in the NYC office of Pepper Hamilton LLP
  • Practice emphasizes all aspects of U.S. federal income tax aspects of fund formation, mergers and acquisitions and securities offering matters
  • Conducts regular seminars and workshops on numerous topics related to partnership taxation, international taxation and tax reform
  • Written several publications related to the areas of international tax, partnership tax and tax reform
  • Member of the New York and New Jersey bars
  • LL.M. degree in taxation, NYU; J.D. degree, cum laude, University of Michigan
  • Can be contacted at 212-808-2705 or [email protected]
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Over 37 years and 1.4 million customers worth of experience providing continuing education. Our passion is providing you world-class training to help you succeed in business and as a professional.

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Product ID: 406991
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