Federal Tax Law Symposium – The One Big Beautiful Bill Act
Date: Oct 30, 2025 9:00 a.m. – 1:00 p.m.
Location: New Jersey Law Center, New Brunswick, and Online
Member Price: $187.00
Non-Member Price: $234.00
Section Price: $176.00
Areas of Law: Taxation
Earn up to 4.5 credits! (More Information)
Keynote
Moderator
- Glenn A. Henkel, Esq., LL.M., CPA
- Kulzer & DiPadova PA, Haddonfield
Presenters
- Farah N. Ansari, Esq.
- Past Chair, Taxation Law Section
Schenck Price Smith & King, LLP, Florham Park - Jonathan G. Blattmachr
- Pioneer Wealth Partners, LLC, Melbourne
- Alan F. Kornstein, Esq.
- McCarter & English LLP, Newark
- Gary A. Prince, Jr., Esq.
- Mantell Prince & Reynolds PC, Basking Ridge
- Martin M. Shenkman, Esq.
- Shenkman Law, Manhasset
The “One Big Beautiful Bill Act” (OBBBA) was signed into law in July. The OBBBA makes the 2017 Tax Cuts and Jobs (TCJA) permanent and introduces many new tax law provisions. For individuals, the OBBBA addresses income tax rates, deductions (including the SALT limitation), child tax credits, car loan interest, 529 plans, charitable provisions and much more. In addition, the OBBBA extends and increases the “Basic Exclusion Amount” for estate and gift tax purposes. For businesses, the OBBBA restores and permanently extends many TCJA provisions, including expensing for research and development and capital expenditures, and Qualified Opportunity Zone incentives.
We have assembled a panel of experts to summarize and address many specific provisions of the OBBBA. The goal of this program is to provide attorneys representing families and businesses with valuable insight to effectively advise their clients and, in many cases, identify critical planning considerations that could require further attention.
Specific topics to be covered in this program will include:
- Estate and gift tax provisions, with an in-depth analysis of changes that impact existing estate plans, including whether clients below the exemption should continue planning not only for estate/gift/GST tax purposes, but also to secure a “step-up” in income tax basis, asset protection and income tax benefits.
- Grantor and non-grantor trust planning, with an in-depth analysis of the tax and non-tax benefits offered by planning with “grantor” trusts and “non-grantor” trusts.
- Individual and trust income tax provisions, including income tax rates, standard deduction, child tax credit, SALT limitation, alternative minimum tax, qualified residence interest, casualty loss deduction and miscellaneous itemized deductions.
- 529 plans, tax-deferred investment accounts for children, ABLE account contributions and rollovers.
- No tax on tips and overtime provisions, dependent care assistance programs and paid family/medical leave credit and employer provided childcare credit.
- Charitable income tax deduction provisions and the potential impact of non-profit organizations.
- Qualified business income deduction (IRC 199A), bonus and other deprecation provisions, increased R&D expensing limits, expansion of small business stock gain exclusion for qualified small business stock (QSBS), Qualified Opportunity Zones, business interest expense provisions, excess business losses (IRC 461(l), and many more important business provisions.
Do not miss this opportunity to gain critical insight into the most impactful provisions of the OBBBA and their implications for your clients.
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