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Cornerstone Private Office

Cornerstone Private Office

Written by: Professor Jack Ledger
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Cornerstone Private Office is the podcast for business owners, growth-stage entrepreneurs, investors, and advisors who want to protect wealth, reduce taxes, and build financial structures that endure beyond markets and generations. Hosted by Professor Jack Ledger, a trusted advisor to high-performing entrepreneurs, the show simplifies complex strategies—tax planning, asset protection, estate and succession design, investment governance, and long-term wealth architecture—into actionable frameworks for $3M–$30M revenue businesses. Designed to elevate financial literacy, build lasting authority, and provide clarity for compounding capital across cycles, this podcast delivers the structural thinking serious operators need to build wisely and protect permanently. This podcast was produced with the assistance of artificial intelligence. AI tools were used in the preparation, editing, or production process. All final content was reviewed and approved by the creators. Economics
Episodes
  • Captive Insurance Companies
    Jun 3 2026
    A captive insurance company is owned and controlled by the business it insures, allowing the parent to deduct premium payments as ordinary business expenses while underwriting profits accumulate inside the captive on a tax-advantaged basis. Under Section 831(b), small captives pay tax only on investment income — not premiums — up to a statutory threshold of $2.85M for 2025. But captive insurance is a risk management tool first and a tax tool second: structures built in reverse draw IRS scrutiny and lose in court. This episode covers what genuine compliance looks like, how recent Tax Court decisions and 2025 IRS regulations define the line between legitimate and abusive structures, and what documentation and actuarial standards are non-negotiable.
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    7 mins
  • Opportunity Zones & Capital Gains Deferral
    Jun 3 2026
    Opportunity Zones allow investors who realize capital gains to reinvest those gains into a Qualified Opportunity Fund within 180 days, deferring the original tax liability and eliminating all federal gains on appreciation inside the fund after a 10-year hold. Made permanent by the One Big Beautiful Bill Act in July 2025, the program now includes 3,309 newly designated rural opportunity zones offering a 30% basis step-up — triple the standard rate. This episode walks through the holding period mechanics, the 2026 recognition deadline that many early investors are navigating now, and how sophisticated families are evaluating fund quality, liquidity tolerance, and tax timeline coordination to capture the full benefit.
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    7 mins
  • Qualified Small Business Stock (QSBS)
    May 27 2026
    Section 1202 of the tax code allows eligible founders and early investors to exclude up to $15 million in capital gains from a business exit — entirely tax-free at the federal level. But the exclusion requires a C corporation structure established before the investment, and the window to qualify closes long before most owners think about selling. Updated by the One Big Beautiful Bill Act in July 2025, the exclusion cap increased and the holding period shortened for newer issuances. This episode breaks down who qualifies, how stacking exclusions across trusts and family members can multiply the benefit, and what deliberate structure at formation means for the owners who get this right.
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    7 mins
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