Virgin Islands CLE - Tax Law Courses

This is a listing of Tax Law CLE Courses for Virgin Islands. Please make your selection below of Virgin Islands CLE courses. Click "Add To Cart" to purchase Individual CLE Courses. For more information about a particular CLE course, click on the "More Info" link. Click the "Preview" button to view a short preview of the course.

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  • Drafting Prenuptial Agreements

    This CLE lecture is a sophisticated look at the process of drafting complex prenuptial agreements for high net worth individuals. It explores the basic ideas and concerns that must be handled in terms of a prenuptial agreement. The lecture describes the three basic areas which must be covered in a prenuptial agreement; the difference between marital and separate property; issues relating to agreement regarding maintenance, as well as estate issues. Learn innovative techniques as to ho... More Info

    $75
    1.5General Credits
  • Complexities of Acquiring Control: Where the Fed’s Control Rule Meets Other Regulatory Definitions

    The Federal Reserve finalized revisions to its approach for determining whether one company has control over another for purposes of the Bank Holding Company Act and the Home Owners’ Loan Act, as amended. While in many respects the final rule codified the Fed’s existing control standards, it also introduced new concepts and raised critical questions about the industry should implement the rule in practice. Over the last two years the industry has grappled with how to apply these revisi... More Info

    $75
    1.5General Credits
  • Citizenship and Residence: Prerequisites to Extra Territorial Taxation

    An examination of the various (jurisdictional) bases for imposing tax on the extra-territorial income of persons with an emphasis on natural persons; the meanings ascribed to the various different bases under the Code, some State statutes, some countries; residence status for tax treaty purposes; dual residence; acquisition of status and planning therefor; relinquishment of status and planning therefor; expatriation meaning and departure tax enforceability and planning. The syllabus wi... More Info

    $75
    1.5General Credits
  • Business, Tax and Ethical Fundamentals Every Transactional Lawyer Needs to Know

    Understand the business and tax fundamentals associated with transactional law practices, as well as their ethical implications. Some of the important issues to be addressed include: the scope of engagement; factors to consider when accepting new clients or new matters; standards of care; what is taxable income, taxable liability, taxable gains and losses and gain and loss realization vs recognition; non-recognition provisions (1031 like kind exchanges; 1033 involuntary convers... More Info

    $75
    1.5Total Credits
    0.75 Ethics
  • Basics of IRA Taxation & Investment Rules

    This CLE course will provide a detailed review of the basic taxation rules of all IRAs, including the Traditional IRA, Roth IRA, SEP IRA, and SIMPLE IRA and will also cover the prohibited transaction and unrelated business taxable income rules as they apply to retirement accounts. The course will explore the history of the U.S. retirement system, concept of tax deferral, as well as detail the contribution, distribution, and other related tax rules regarding each specific IRA. The cours... More Info

    $75
    1.5General Credits
  • Attorney's Guide to Traditional and Combination Long Term Care Insurance Coverage

    Join our expert panel as they discuss what the practitioner needs to know about the current elder law trends, including the benefits of pre-crisis planning, estate planning updates, proposed legislative changes and the importance of long term care insurance. Our panelists will also discuss traditional and combo long term insurance plans, including: how long term case works; costs and benefits; previous problems; integration with Medicaid planning or stand alone plans; integration with... More Info

    $75
    1.5General Credits
  • An Introduction to Qualified Opportunity Zones

    The recent tax bill added a little known provision which allows an investor to avoid capital gains on profits which are promptly reinvested in real property or certain other investments in a qualified opportunity zone. The zones were established by Congress using the US census. If one keeps the funds invested for 7 years, the investor will pay tax on only 85% of the deferred gains. Furthermore, if the funds are properly invested and the investment is then sold, there will be no tax at all o... More Info

    $75
    1.5General Credits
  • Advanced Tax Planning Techniques

    The tax code could never be described as simple, but that doesn’t mean it’s unmanageable. This CLE course will present creative tax planning techniques for partnership, real estate, corporate, international, individual and estate tax rules utilized by leading tax professionals. Common obstacles, including judicial doctrines and disclosure rules will also be presented. More Info

    $75
    1.5General Credits
  • Accounting Principles for Attorneys: What Every Lawyer Needs to Know

    Lawyers tend to be persuasive, argumentative and polished. But when it comes to the rules of accounting and taxation, even the best arguments will fall short in the face of steadfast rules and principles. This CLE course will explain the basic accounting principles every lawyer must know from the organizations that set the rules and standards to arranging a corporate capital structure. The course will explain stockholder equity, liabilities, long term investments, funds and assets, how t... More Info

    $75
    1.5General Credits
  • Accommodating Non-U.S. Investors: Structuring Real Estate and Other Fund Investments to Minimize U.S. Tax Impacts

    Tannenbaum Helpern tax attorneys Michele Itri and David Schulder along with RSM US LLP's International Tax Principal Mark Strimber, will discuss how hedge funds and private equity funds can minimize tax burden for non-U.S. investors. These investors are primarily concerned with avoiding U.S. tax filing obligations and paying U.S. tax on "effectively connected income" which can result from a non-U.S. investor's investment in U.S. real estate, certain U.S. loans, U.S. operating companies and fee... More Info

    $75
    1.5General Credits

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