Found: 9
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A Tax Treaty by Any Other Name: The United States--Taiwan Expedited Double-Tax Relief Act.
- Published in:
- International Tax Journal, 2024, v. 50, n. 3, p. 36
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- Publication type:
- Article
Disproportionately Difficult: Determining a U.S. Partner's Proportionate Share of Partnership Intangible Property Under Code Sec. 367(d).
- Published in:
- International Tax Journal, 2023, v. 49, n. 6, p. 37
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- Publication type:
- Article
The All Earnings and Profits Amount of a Domesticating Foreign Target: The Non-Recognition Cleansing Exception.
- Published in:
- International Tax Journal, 2022, v. 48, n. 3, p. 5
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- Publication type:
- Article
Related Person Downward Attribution: Rules Similar to the Rules of Code Sec. 958(b).
- Published in:
- International Tax Journal, 2021, v. 47, n. 2, p. 19
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- Publication type:
- Article
The Participation Dividends-Received Deduction: More than Meets the Eye.
- Published in:
- Journal of Taxation of Financial Products, 2019, v. 16, n. 3, p. 65
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- Publication type:
- Article
The Participation Dividends-Received Deduction: More than Meets the Eye.
- Published in:
- International Tax Journal, 2019, v. 45, n. 3, p. 43
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- Publication type:
- Article
Inbound Dispositions of Partnership Interests: The Uncertainty Continues.
- Published in:
- International Tax Journal, 2018, v. 44, n. 3, p. 5
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- Publication type:
- Article
Section 956 in the Partnership World: An Aggregate Tour de Force with Some Bumps in the Road.
- Published in:
- International Tax Journal, 2017, v. 43, n. 2, p. 5
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- Publication type:
- Article
Post-Inversion Partnership Restructurings under Notice 2014-52: A Cure Worse than the Disease.
- Published in:
- International Tax Journal, 2015, v. 41, n. 4, p. 29
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- Publication type:
- Article