For United States federal tax purposes, the classificaiton of an entity as a partnership or a corporation has significant ramifications, particularly with respect to entities in foreign countries. Classification is especially important to the owners - whether shareholders or partners - of the entity because the question of whether they are taxed on their share of the profits or only upon repartriation will often depend on how the entity, set up under foreign law, is recognized by the Internal Revenue Service (Service). While entity classification in the domestic area has always been vulnerable to challenge, foreign entities face an additional problem in view of the Service\u27s application of a rather complicated separate interests test...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of inter...
In the taxation of corporations, the State of California employs an income tax method that utilizes ...
The application of the separate interests test has thus far been attempted only with foreign entitie...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
Protection of a client’s assets in a foreign country has always been one of a lawyer’s most uncertai...
The instant thesis is organized in three main parts. The first contains an overview of U.S. law incl...
Plaintiff brought suit to enjoin the collection of a state tax on intangibles consisting of stocks h...
The Foreign Sovereign Immunities Act (FSIA) generally prevents foreign sovereigns from falling withi...
Analysis of how foreign entities (mostly corporations) are being dealth with for domestic income tax...
The United States Supreme Court has held that a state taxing scheme, which treated corporate dividen...
This article challenges our persistent path dependence on defunct distinctions between corporations ...
Some of the legal analysis in this study derives from joint work between Robert Howse and Susan Esse...
This Case Comment explores the application of comity to foreign bankruptcy proceedings, particularly...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of inter...
In the taxation of corporations, the State of California employs an income tax method that utilizes ...
The application of the separate interests test has thus far been attempted only with foreign entitie...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
United States Tax Principles Govern Determination of Accumulated Profits Under Foreign Tax Credit Se...
Protection of a client’s assets in a foreign country has always been one of a lawyer’s most uncertai...
The instant thesis is organized in three main parts. The first contains an overview of U.S. law incl...
Plaintiff brought suit to enjoin the collection of a state tax on intangibles consisting of stocks h...
The Foreign Sovereign Immunities Act (FSIA) generally prevents foreign sovereigns from falling withi...
Analysis of how foreign entities (mostly corporations) are being dealth with for domestic income tax...
The United States Supreme Court has held that a state taxing scheme, which treated corporate dividen...
This article challenges our persistent path dependence on defunct distinctions between corporations ...
Some of the legal analysis in this study derives from joint work between Robert Howse and Susan Esse...
This Case Comment explores the application of comity to foreign bankruptcy proceedings, particularly...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of inter...
In the taxation of corporations, the State of California employs an income tax method that utilizes ...