Works matching DE "CONTROLLED foreign corporations -- Law %26 legislation"
Results: 20
LA ACCIÓN 3 DE BEPS, EN EL CONTEXTO DE COLOMBIA , PERÚ Y CHILE.
- Published in:
- Actualidad Jurídica (1578-956X), 2017, n. 45, p. 39
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- Publication type:
- Article
PFICs GONE WILD!
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- Akron Tax Journal, 2014, v. 29, p. 29
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- Article
WALKING A FINE LINE: A THEORY OF LINE DRAWING IN TAX LAW.
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- Virginia Tax Review, 2014, v. 34, n. 3, p. 469
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- Article
New Final and Proposed Regulations Under Code Sec. 163(j) and Their Application to Controlled Foreign Corporations.
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- International Tax Journal, 2020, v. 46, n. 6, p. 31
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- Article
Applying Acquisition Price Method to Post-TCJA Platform Contribution Transactions.
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- International Tax Journal, 2019, v. 45, n. 4, p. 5
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- Article
The Proposed GILTI High-Tax Exception.
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- International Tax Journal, 2019, v. 45, n. 4, p. 3
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- Article
The Challenges Associated with Accumulating and Distributing Previously Taxed Earnings & Profits.
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- International Tax Journal, 2019, v. 45, n. 1, p. 25
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- Publication type:
- Article
Taxable Acquisitions of Foreign Corporations in a Brave New World.
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- International Tax Journal, 2019, v. 45, n. 1, p. 11
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- Article
Code Sec. 956: Developments Concerning the 30-Day Exception.
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- International Tax Journal, 2016, v. 42, n. 6, p. 3
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- Article
Constructive Unilateralism: U.S. Leadership and International Taxation.
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- International Tax Journal, 2016, v. 42, n. 2, p. 17
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- Article
CFC-Level Hedges of Currency Risk--A Review.
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- International Tax Journal, 2016, v. 42, n. 2, p. 11
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- Article
The IRS Issues New Code Sec. 956 Regulations.
- Published in:
- International Tax Journal, 2016, v. 42, n. 1, p. 9
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- Article
Applying the Subpart F Services Rules to Regarded Entity Structures.
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- International Tax Journal, 2015, v. 41, n. 6, p. 3
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- Article
Applying the Substantial Assistance Rules to a CFC Partner After Notice 2007-13.
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- International Tax Journal, 2015, v. 41, n. 3, p. 29
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- Publication type:
- Article
All or Nothing? The Obama Budget Proposals and BEPS.
- Published in:
- International Tax Journal, 2015, v. 41, n. 2, p. 17
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- Publication type:
- Article
IRS Expands the Application of the Code Sec. 956 Anti-Conduit Rule.
- Published in:
- International Tax Journal, 2015, v. 41, n. 2, p. 3
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- Publication type:
- Article
Extending the 2009 Code Sec. 367 GRA Triggering Event Exceptions to Accommodate a Foreign-to- Foreign Code Sec. 304 Transaction.
- Published in:
- International Tax Journal, 2014, v. 40, n. 3, p. 9
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- Article
A Note From the Editor-in-Chief.
- Published in:
- 2014
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- Publication type:
- Editorial
Subpart F: Gain from the Sale of Intangible Property.
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- International Tax Journal, 2013, v. 39, n. 4, p. 3
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- Publication type:
- Article
Acquisitions, Dispositions & Structuring Techniques Corner: Repatriation of Foreign-Sourced Accumulated Earnings and Profits in Moving to a Participation Exemption System for Reporting Foreign-Sourced Dividends Under the Tax Cuts and Jobs Act of 2017.
- Published in:
- Journal of Passthrough Entities, 2018, v. 21, n. 2, p. 7
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- Article