Presented by Celia Clark, Esq. and Stephanie Downer, Esq.
Too many times promoters try to sell an idea to clients for the wrong purpose, which only drives eventual client dissatisfaction and IRS scrutiny. Although captive insurance companies are often thought of as an income tax strategy, the primary reason to consider and implement a captive insurance company is and must always be the covering of an insurable risk to the client’s primary company. Join Celia and Joe as they discuss appropriate goals and needs of the client, along with the intent of the laws and code sections as they relate to planning for captives.
*Disclaimer: This program is not intended or relied on to serve as legal, tax, and/or financial advice. For individual purposes only.
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