International Applications of U.S. Income Tax Law

International Applications of U.S. Income Tax Law

Author: Ernest R. Larkins

Publisher: John Wiley & Sons

Published: 2003-11-20

Total Pages: 456

ISBN-13: 0471482811

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A clear, concise explanation of United States tax law’s international aspects In tackling a sometimes thorny set of laws and treaties, international tax expert Ernest Larkins emphasizes their economic effects, showing how to avoid hazards while reaping rewards which often go ignored. Coverage includes: Special issues arising when a foreign person invests in U.S. real estate, as well as the best structures for holding such real estate What a controlled foreign corporation is and what consequences result from this status Acceptable transfer pricing methods and what penalties apply when taxpayers do not follow arm’s-length principles International Applications of U.S. Income Tax Law also contains many useful tools which allow readers to build understanding through practice, as well as formulate and solve the complex problems international taxes can present. Order your copy today!


The Committee on Foreign Investment in the United States (CFIUS).

The Committee on Foreign Investment in the United States (CFIUS).

Author: James K. Jackson

Publisher:

Published: 2016

Total Pages: 0

ISBN-13:

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This report discusses the Committee on Foreign Investment in the United States (CFIUS) comprising nine members, two ex officio members, and other members as appointed by the President representing major departments and agencies within the federal executive branch. While the group generally has operated in relative obscurity, the proposed acquisition of commercial operations at six U.S. ports by Dubai Ports World in 2006 placed the group's operations under intense scrutiny by Members of Congress and the public.


The The Indirect Side of Direct Investment

The The Indirect Side of Direct Investment

Author: Jack M. Mintz

Publisher: MIT Press

Published: 2010-08-06

Total Pages: 203

ISBN-13: 0262014491

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Drawing on a unique data set (MiDi) on German multinationals provided by the Deutsche Bundesbank in Frankfurt, Mintz and Weichenrieder confirm the prevalence of indirect financing structures for both outbound and inbound German investment. They find evidence of "treaty shopping!' to avoid withholding taxes (using a third country with more favorable tax rates as a conduit through which to route investments) and of "debt shifting." --