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P. Bruce Wright

Partner

New York

P: 212.389.5054 E: [email protected] Education

LL.M., Georgetown University Law Center

J.D., cum laude, Brooklyn Law School

B.S., City University of New York at Brooklyn College CPCU Bar Admissions District of Columbia New York Background

Nationally recognized as an authority in the captive insurance industry, Bruce Wright counsels

companies on a wide range of tax and insurance law issues, including formation of commercial offshore privately and publicly held entities. He also works with clients on the development of structured financial products such as securitizations, swaps, options and similar products used as alternatives to

conventional risk financing mechanisms such as “rent-a-captives” and “cell companies.”

Representing domestic and foreign-based clients, Bruce advises property and casualty insurance companies, guides the formation of single parent/group captive insurers and counsels risk retention groups. With more than four decades of experience, he has helped clients successfully navigate an array of complex federal income tax issues such as debt or equity characterization, engaging in U.S. trade or business issues, continuity of interest, passive foreign investment company status, controlled foreign corporation status, limitations on the use of net operating losses, cancellation of indebtedness income, consequences of debt modification, original issue discount, federal excise tax and state premium tax on premiums paid to foreign investors.

Experience

 Represented a Bermuda reinsurance company in its structuring and formation, the private offering of its securities, and the establishment of its business.

 Sutherland advises Verizon on the transfer of $7.5 billion pension obligation to Prudential.  Sutherland counsels clients with captive insurance structures for employee benefits. Awards

 Recipient, Distinguished Service Award, Captive Insurance Companies Association (2016)  Ranked No. 2 in the latest edition of Captive Review magazine’s “Power 50,” which recognizes

the 50 most important figures in the international captive insurance community (2014-2015)  Recipient, Industry Service Award, Vermont Captive Insurance Association (2015)

 Ranked No. 4 in Captive Review magazine’s “Power 50,” which recognizes the 50 most important figures in the international captive insurance community (2013-2014)

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 Ranked No. 8 in Captive Review magazine’s “Power 50,” which recognizes the 50 most important figures in the international captive insurance community (2012-2013)

 Recipient, U.S. Captive Outstanding Contribution Award, U.S. Captive Services Awards,

Captive Review (2012)

 Ranked No. 9 in Captive Review magazine’s “Power 50,” which recognizes the 50 most important figures in the international captive insurance community (2011-2012)

 Recognized as a distinguished benefactor by the Nevada Captive Insurance Association (2011) Articles

 Nonprofit Insurance Program Ruled Not Exempt (July 2016)

Captive Insurance Company Reports

 New York Court Rules on Premium Deduction (June 2016)

Captive Insurance Company Reports

 IRS: Status of Coverages (May 2016)

Captive Insurance Company Reports

 A Look at the IRS Position in Avrahami (March 2016)

Captive Insurance Company Reports

 IRS Revokes Cascading Excise Tax Ruling (February 2016)

Captive Insurance Company Reports

 Congress Amends Section 831(b) (February 2016)

Captive Insurance Company Reports

 Residual Value Insurance Qualifies as Insurance for Tax Purposes (December 2015)

Captive Insurance Company Reports

 The IRS’s Analysis in CCA 201533011 (November 2015)

Captive Insurance Company Reports

 IRS on PFIC Regulations for Hedge Fund Reinsurers (November 2015)

Captive Insurance Company Reports

 Domicile Considerations (October 2015)

Captive Insurance Company Reports

 Senator Wyden Introduces PFIC Legislation (September 2015)

Captive Insurance Company Reports

 Commerce Department Survey Response Deadline Passes Quietly (August 2015)

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 Validus Result Affirmed on Narrower Grounds (July 2015)

Captive Insurance Company Reports

 Deadline Imminent for Response to Commerce Department Survey (June 26, 2015) Captive.com

 FATCA – Key Points to Remember for Captives (June 2015)

Captive Insurance Company Reports

 Validus Court Holds FET Not Applicable to Foreign Reinsurance (May 27, 2015) Captive.com

 Treasury and IRS Issue New Proposed PFIC Regulations Aimed at Hedge Fund Reinsurers (May 6, 2015)

Captive.com

 The Insured Roll Up – Where Are We? (May 2015)

Captive Insurance Company Reports

 831(b) Companies (April 6, 2015)

Bloomberg Law – Tax Management Memorandum

 IRS Says Currency Fluctuation Cover is Not Insurance for Tax Purposes (April 6, 2015) Captive.com

 IRS Dirty Dozen Abusive Tax Structures Single Out Micro-Captives (February 6, 2015)

Captive Wire

 The Tax Court Decides Two New Captive Cases (February 2015)

Captive Insurance Company Reports

 Tax Court Pending and Newly Issued Captive Cases (December 2014)

Captive Insurance Company Reports

 New IRS Rule on Captives' Reinsurance of VEBA Benefits (August 2014)

Captive Insurance Company Reports

 Finally: A Rent-a-Center Decision (March 2014) CAPTIVE INSURANCE COMPANY REPORTS  Taxes (March 2014)

Captive Insurance Company Reports

 Money Market Funds, Withholding Tax, and Tax Extenders (January 2014) Captive Insurance Company Reports

 IRS: Positive FATCA News for Captives (December 2013) Captive Insurance Company Reports

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 Bruce Wright Updates an Offshore Tax Case (July 2013) Captive Insurance Company Reports

 Guide to FATCA for Foreign Captives (March 2013) Captive Insurance Company Reports

 Taxation: Risk Distribution and the Meaning of Harper (March 2012)

Captive Insurance Company Reports

 Tailor-made Captives (2011)

Captive Review, Latin America Report

 Captives: Creeping State Tax Reach (October 2010)

Captive Insurance Company Reports

 Update: FET Applies on a Cascading Basis (March 2010)

Captive Insurance Company Reports

 Proposed U.S. Federal Tax Legislation - Impact on Cayman Islands Captives (January 5, 2010)

Cayman Financial Review

 Scrutinizing TAM on Partnerships and the True Insured (August 2008)

Captive Insurance Company Reports

 IRS Guidance: FET Applies on a Cascading Basis (May 2008)

Captive Insurance Company Reports

 IRS Weighs in on Cell Captives (April 2008)

Captive Insurance Company Reports

 Considerations in Forming a Risk Retention Group (Spring 2008)

AHRMNY News

 Effects of Proposed IRS Regulation on Tax Benefits of Captives (January 2008)

Risk Financing Perspectives

 The Rules of Insuring Employee Benefits in Captives (August 2002)

Risk Management

 Purchasing Insurance from Unlicensed Insurers (August 1998)

Risk Management

 Despite IRS Attempts, Captive Wall Remains Intact (September 1991)

Risk Management

 Enforceability of the Regulatory and Insured v. Insured (April 1991) Exclusion in D&O Policies, Bank Risk

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 The Risk Retention Act — Bane or Blessing? (1989) Department of Commerce Report, Society of CPCU  Risk Financing—A Guide to Insurance Cash Flow (1987)

International Risk Management Institute, Inc.

 Essentials of Risk Financing (1986)

Insurance Institute of America Presentations

 U.S. Tax Updates and Developments (June 15, 2016) Bermuda Captive Conference

 Tax Update for Captive Business Today (March 8, 2016)

Captive Insurance Companies Association (CICA) 2016 International Conference

 International Tax Issues and Profit Shifting as They Relate to On-Shore and Off-Shore Captive Insurance Companies (February 26, 2016)

International Litigation, Arbitration & Transactions Conference

 Current IRS Audit Experience and Discussion of Recent Rulings and Cases (February 23, 2016)

Captive Insurance Tax Summit

 State Taxation of Captives (February 23, 2016) Captive Insurance Tax Summit

 Employee Benefits as Third Party Risk (February 22, 2016) Captive Insurance Tax Summit

 Federal Excise Tax Developments (February 22, 2016) Captive Insurance Tax Summit

 Redomiciling of Captive Arrangements (February 22, 2016) Captive Insurance Tax Summit

 Benefits Legal & Regulatory Update: ExPro and ERISA (February 3, 2016) World Captive Forum

 Tax Roundtable (February 2, 2016) World Captive Forum

 Captive Insurance Companies – What, Why and Where? (November 16, 2015 ) The Atlanta Tax Forum Meeting

 Tax Considerations (November 3, 2015) Association of the Bar of the City of New York

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 Federal Tax Considerations (November 2, 2015) Captive Owners Summit

 IRS Scrutiny (November 2, 2015) Captive Owners Summit

 Federal and State Taxes: Case Law and IRS Developments (October 27, 2015) Hawaii Captive Insurance Council Forum

 Employee Benefits as Third-Party Risk (October 26, 2015) Bloomberg/BNA Captive Insurance Tax Summit

 Redomestication of Single Parent Captives (October 26, 2015) Bloomberg/BNA Captive Insurance Tax Summit

 State Taxation of Captives (October 26, 2015) Bloomberg/BNA Captive Insurance Tax Summit

 Current IRS Audit Experience and Discussion of Recent Rulings and Cases (October 26, 2015) Bloomberg/BNA Captive Insurance Tax Summit

 Webcast: “Everything (Well, Most Things) You Need to Know About Taxation of Foreign Captives.” (October 7, 2015)

American Bar Association

 Annual Federal and State Tax Update (August 26, 2015) NCCIA Annual Conference

 Tax Update – Trekking Through the Federal and State Tax Forest (August 12, 2015) Vermont Captive Insurance Association

 Captive Insurance Tax Developments: The Latest from the IRS Firing Lines (April 29, 2015) RIMS Annual Conference & Exhibition

 Captive Insurance Tax Update (April 6, 2015)

ABA Business Section Captive Insurance Committee

 New Developments in State and Federal Income Taxes and How They May Impact Captive Strategies (March 10, 2015)

CICA International Conference

 Medical Stop Loss in the U.S. (February 4, 2015) World Captive Forum

 Hot Topics in Captive Insurance–Yesterday, Today and Tomorrow (February 4, 2015) World Captive Forum

 Captive Taxation Update (January 28, 2015) Strategic Risk Solutions Web Seminar

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 IRC Section 831(b) as Applied to Captive Insurers (January 15, 2015) Bloomberg BNA - Tax Advisory Board Meeting

 BNA/CITE Captive Summit (October 27-28, 2014)  Tax Update (October 21, 2014)

Hawaii Captive Insurance Council

 Tax Update: Lessons from Recent IRS Cases (October 6, 2014) Captive Live USA

 Strategic Risk Management (September 17, 2014) Connecticut Captive Symposium

 Latest Pertinent Developments in Tax Policy Relevant to Captive Insurance (August 26, 2014) North Carolina Captive Insurance Association

 Tax Update (August 21, 2014) North Carolina Captive Conference  Tax Update (June 19, 2014)

Kentucky Captive Conference  Tax Update (June 4, 2014)

Bermuda Captive Conference

 State and Local Tax for Captives Update (April 25, 2014) AIC Meeting

 Captive Insurance Company Association (March 10-11, 2014)  BNA/CITE Captive Summit (February 24-25, 2014)

 Tax Update (February 18-19, 2014) Texas Captive Conference

 World Captive Forum (January 30-31, 2014)  Advanced Captive Tax Update (August 9, 2012)

Vermont Captive Insurance Association

 Bermuda Captive Insurance Conference (June 6, 2012) Bermuda Captive Insurance

 New Jersey Department of Banking and Insurance Commissioner’s Symposium (November 30, 2011)

New Jersey Department of Banking and Insurance Commissioner

 23rd Annual Federal Bar Association Insurance Tax Seminar (May 26, 2011) Federal Bar Association

References

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