Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branches. A U.S. subsidiary of a foreign corporation generally is taxed as any other domestic corporation, that is, as a separate taxable entity apart from its foreign parent. In contrast, a U.S. branch of a foreign corporation is not treated as a separate taxable entity; instead, the Code and regulations employ a set of special rules that allocate and apportion to the U.S. branch a portion of the foreign corporation\u27s income in order to determine the net income subject to U.S. tax. The rules used for taxing U.S. branch activities are problematic in a number of respects. They fail in some cases to accurately reflect the income produced by U.S. ...
From the publisher: This book addresses the provisions of the Internal Revenue Code that govern the...
A letter report issued by the General Accounting Office with an abstract that begins "Every year, U....
Internal Revenue Code Sections 861-864 determine the source of income and Sections 861(a) and 862(a)...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
For United States federal tax purposes, the classificaiton of an entity as a partnership or a corpor...
This article is a detailed study of the taxation by the United States of foreign base company servi...
Congress enacted the branch profits tax in order to reduce the disparity between the taxation of U.S...
A domestic corporation operating in a foreign country through a branch office includes income from t...
those incorporated abroad) that reported $77.1 billion of receipts generated f rom activities "...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
In the United States, many states have sought the objective of uni- formity by enacting the Uniform...
This paper examines some aspects of the tax treatment of U.S. multinational corporations. The emphas...
In the context of a European project describing variations in the structure of the corporate income ...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
Various business entities are found in today\u27s business community, however, such varieties of bus...
From the publisher: This book addresses the provisions of the Internal Revenue Code that govern the...
A letter report issued by the General Accounting Office with an abstract that begins "Every year, U....
Internal Revenue Code Sections 861-864 determine the source of income and Sections 861(a) and 862(a)...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
For United States federal tax purposes, the classificaiton of an entity as a partnership or a corpor...
This article is a detailed study of the taxation by the United States of foreign base company servi...
Congress enacted the branch profits tax in order to reduce the disparity between the taxation of U.S...
A domestic corporation operating in a foreign country through a branch office includes income from t...
those incorporated abroad) that reported $77.1 billion of receipts generated f rom activities "...
The United States has the power to tax the income of its citizens and domestic corporations even tho...
In the United States, many states have sought the objective of uni- formity by enacting the Uniform...
This paper examines some aspects of the tax treatment of U.S. multinational corporations. The emphas...
In the context of a European project describing variations in the structure of the corporate income ...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
Various business entities are found in today\u27s business community, however, such varieties of bus...
From the publisher: This book addresses the provisions of the Internal Revenue Code that govern the...
A letter report issued by the General Accounting Office with an abstract that begins "Every year, U....
Internal Revenue Code Sections 861-864 determine the source of income and Sections 861(a) and 862(a)...