During our complimentary, five-part webinar series, specialists from our tax practice provided an in-depth look at the current state of tax policy and discussed legislative and regulatory developments in the marketplace. These sessions will help viewers stay up to date on the latest issues they should be aware of for the 2025 tax year, as well as provide insights into clients’ most frequently asked questions.
In this webinar, Baker Tilly tax professionals explore key federal and international business tax planning considerations for pass-through entities, including the permanent extension of the Qualified Business Income (QBI) deduction, changes to interest deduction limitations and more. Viewers will gain insights into entity-level and owner-level strategies, compliance challenges and opportunities for optimizing tax outcomes. Designed for tax professionals advising or working with partnerships, S corporations and LLCs, this session provides actionable guidance to close out the year with confidence.
Presenters
- Jim Dubeck, managing director, partnerships
- Nikki Grams, senior manager, international tax
- Cameron Johnson, director, partnerships
Session objectives
- Summarize major OBBBA provisions affecting flow-through entities and their owners
- Analyze international tax reforms relevant to partnerships with cross-border operations
- Develop planning approaches for entity structure, income timing and owner distributions
Related sections
The information provided here is of a general nature and is not intended to address the specific circumstances of any individual or entity. In specific circumstances, the services of a professional should be sought. Tax information, if any, contained in this communication was not intended or written to be used by any person for the purpose of avoiding penalties, nor should such information be construed as an opinion upon which any person may rely. The intended recipients of this communication and any attachments are not subject to any limitation on the disclosure of the tax treatment or tax structure of any transaction or matter that is the subject of this communication and any attachments.



