Works matching DE "PASSIVE foreign investment companies"
Results: 28
TEI's 1995 International Tax Course -- level II.
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- Tax Executive, 1995, v. 47, n. 4, p. 320
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- Article
PFICs GONE WILD!
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- Akron Tax Journal, 2014, v. 29, p. 29
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Relationship-Specific Investments and the Transfer Pricing Paradox.
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- Review of Accounting Studies, 1999, v. 4, n. 2, p. 119, doi. 10.1023/A:1009601102396
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How Today's Weak Dollar Can Help Deal-making.
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- Financial Executive, 2005, v. 21, n. 2, p. 33
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Tax Neutrality to the Left, International Competitiveness to the Right, Stuck in the Middle With Subpart F.
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- Texas Law Review, 2001, v. 79, n. 6, p. 1525
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OWNERSHIP STRUCTURES OF NORWEGIAN FOREIGN SUBSIDIARIES IN MANUFACTURING.
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- International Trade Journal, 1996, v. 10, n. 2, p. 157, doi. 10.1080/08853909608523852
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Rise of the PFIC: Potential Benefits for U.S. Individuals Investing in Alternative Investment Funds Through a Foreign Corporation.
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- Journal of Taxation of Investments, 2015, v. 32, n. 4, p. 25
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New Guidance Regarding Ownership of Passive Foreign Investment Companies.
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- Journal of Taxation of Investments, 2014, v. 31, n. 3, p. 43
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Reconsidering the PFIC Asset Test Adjusted-Basis Requirement's Application to CFCs Held by Domestic Partnerships.
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- International Tax Journal, 2023, v. 49, n. 3, p. 11
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Testing PFIC Status of Companies Investing in Partnerships: Which Rules Apply?
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- International Tax Journal, 2023, v. 49, n. 1, p. 9
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Passive Foreign Investment Companies: Reinterpreting the Active Banking Exception for the Modern Banking Industry.
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- International Tax Journal, 2021, v. 47, n. 4, p. 19
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Proposed Regulations on PFIC Active Insurance Exception.
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- International Tax Journal, 2015, v. 41, n. 5, p. 33
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IRS Revisits Application of the PFIC Domestic Stock and Subsidiary Look-Through Rules.
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- International Tax Journal, 2015, v. 41, n. 4, p. 15
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Classification of Canadian Mutual Funds for U.S. Tax Purposes.
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- International Tax Journal, 2014, v. 40, n. 5, p. 27
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Application of Tax on Net Investment Income to Shareholders of CFCs and PFICs.
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- International Tax Journal, 2014, v. 40, n. 5, p. 15
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- Publication type:
- Article
PFIC Determination: Domestic Stock Rule Takes Precedence Over Subsidiary Look-Through Rule.
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- International Tax Journal, 2013, v. 39, n. 6, p. 9
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Anti-Deferral and Anti-Tax Avoi dance.
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- International Tax Journal, 2012, v. 38, n. 5, p. 5
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Anti-Deferral and Anti-Tax Avoidance.
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- International Tax Journal, 2008, v. 34, n. 3, p. 5
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The US Tax Classification of Canadian Mutual Fund Trusts.
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- Canadian Tax Journal / Revue Fiscale Canadienne, 2015, v. 63, n. 4, p. 947
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MOBILE BENEFICIARIES OF CANADIAN ESTATE PLANS: IMPLICATIONS OF MOVING TO THE UNITED STATES.
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- Canadian Tax Journal / Revue Fiscale Canadienne, 2007, v. 55, n. 2, p. 382
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The Trouble with QEF Reporting.
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- Journal of Tax Practice & Procedure, 2017, v. 19, n. 1, p. 43
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The Evolution of the CDO Squared.
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- Journal of Structured Finance, 2005, v. 11, n. 1, p. 6, doi. 10.3905/jsf.2005.500370
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The Role of Foreign Subsidiaries in Strategic Decision-making in Swedish Multinational Corporations.
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- Strategic Management Journal (John Wiley & Sons, Inc.) - 1980 to 2009, 1980, v. 1, n. 1, p. 23, doi. 10.1002/smj.4250010104
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The taxation of passive foreign investment: lessons from German experience.
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- Canadian Journal of Economics, 2012, v. 45, n. 4, p. 1504, doi. 10.1111/j.1540-5982.2012.01737.x
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International Tax Issues Corner.
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- Journal of Passthrough Entities, 2015, v. 18, n. 4, p. 19
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International Tax Issues Corner.
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- Journal of Passthrough Entities, 2011, v. 14, n. 3, p. 13
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Private Equity & Hedge Fund Corner: The Use of PFICs for Investment Partnerships Structured as Passthrough Entities.
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- Journal of Passthrough Entities, 2011, v. 14, n. 2, p. 19
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Private Equity & Hedge Fund Corner.
- Published in:
- Journal of Passthrough Entities, 2011, v. 14, n. 1, p. 27
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- Article