Section 168(k) Film Investment: A Live Deal Walkthrough
See exactly how a tax-advantaged film deal is structured — from capital stack to closing. Designed for investors and their CPAs.
See exactly how a tax-advantaged film deal is structured — from capital stack to closing. Designed for investors and their CPAs.
This is not a teaser. You will leave this session with a clear understanding of how Section 168(k) film investment works and whether it belongs in your portfolio.
How Section 168(k) creates a full first-year deduction on the purchase price of a film copyright — including both cash and recourse debt.
Understand how investor equity, state tax credits, and senior lending combine to reduce your cash exposure while maximizing your deduction.
We walk through a real capital stack, show you the deduction math, and demonstrate exactly how investor returns are calculated.
Learn about the 125% sales guarantee, presale-backed budgets, and multiple capital recovery mechanisms that insulate your investment.
The K&L Gates tax opinion, arm’s-length transaction chain, recourse debt requirements, and phantom income management.
Stay after the presentation for an open Q&A with an attorney who has structured these deals and directed the films. No question is off limits.
No cost. No obligation. Replay available for registrants.
You already understand cost segregation and leveraged depreciation in real estate. This is the same mechanic applied to a different — and potentially more efficient — asset class.
Your client brought you a film deal. You have questions. This session gives you the statutory basis, the documentation trail, and the exact mechanics so you can evaluate it with confidence.
Your high-net-worth clients want alternatives. Film is an asset class most advisors have never been exposed to. This session gives you the framework to evaluate it for your practice.