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While Notice 2023-7 (the notice) addressed several taxpayer issues around the new 15% corporate alternative minimum tax (CAMT), many questions remain unanswered. As the CAMT is effective beginning in tax year 2023, companies need to understand the notice now to determine how to comply.
Join our team of Ernst & Young LLP subject matter professionals for a discussion of the technical aspects, implications and uncertainties of the notice, including:
Safe harbor methodology for determining “applicable corporation” status
Termination of “applicable corporation” status following certain transactions
Adjustments to adjusted financial statement income (AFSI)
Depreciation adjustment rules under IRC Section 56A(c)(13)
Panelists
Brian Peabody, Principal, National Tax – International Tax and Transaction Services, Ernst & Young LLP
Carl Barkson, Managing Director, Financial Services Organization, Insurance Tax, Ernst & Young LLP
Dan Penrith, Senior Manager, National Tax – Accounting Periods, Methods & Credits, Ernst & Young LLP
Rayth Myers, Senior Manager, National Tax – Accounting Periods, Methods & Credits, Ernst & Young LLP
Lulu Ma, Senior Manager, National Tax – International Tax and Transaction Services, Ernst & Young LLP
Jeshua Wright, Senior Manager, National Tax - International Tax and Transaction Services, Ernst & Young LLP
Moderator
Scott Mackay, EY Americas Quantitative Services Leader and Partner, National Tax Leader – Accounting Periods, Methods & Credits, Ernst & Young LLP
EY webcast managed and produced by Ernst & Young LLP’s Tax Technical Knowledge Services Group, Washington, DC: Lynn Fairfax