Prior to 1937, it was common for United states taxpayers to utilize offshore corporate entities, structured in the form of a foreign personal holding company ( FPHC ) to avoid United States taxation. As indi- cated by the House Committee Notes accompanying enactment of the Revenue Act of 1937, [t]he evidence presented to the joint committee has shown that foreign personal holding companies have afforded one of the most flagrant loopholes for tax avoidance. \u27 The primary problem faced by the lawmakers in 1937 was the fact that the United States was unable to acquire direct taxing jurisdiction over such companies due to the fact that such corporate entities were not located within the taxing jurisdiction of the United States.2 As ...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
Correspondence issued by the General Accounting Office with an abstract that begins "Some U.S.-based...
During the past few years, several high-profile U.S.-based multinational corporations have changed t...
A complete liquidation occurs when a corporation ceases to pursue activities*as a going concern and ...
Continued tax-motivated inversions of U.S. corporations into foreign corporations highlight the syst...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
This article is a detailed study of the taxation by the United States of foreign base company servi...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
A domestic corporation operating in a foreign country through a branch office includes income from t...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
By 1964, many years had elapsed since significant changes were made in the federal income tax treatm...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
Correspondence issued by the General Accounting Office with an abstract that begins "Some U.S.-based...
During the past few years, several high-profile U.S.-based multinational corporations have changed t...
A complete liquidation occurs when a corporation ceases to pursue activities*as a going concern and ...
Continued tax-motivated inversions of U.S. corporations into foreign corporations highlight the syst...
In an effort to help the balance-of-payments deficit, the Revenue Act of 1971 included provisions au...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
Foreign corporations conduct U.S. business activities either through U.S. subsidiaries or U.S. branc...
This article is a detailed study of the taxation by the United States of foreign base company servi...
INCOME TAX--LIQUIDATION OF FOREIGN CORPORATIONS--SHAREHOLDERS IN A LIQUIDATING FOREIGN CORPORATION M...
When a U.S. person conducts business or investment activity abroad through a foreign corporation in ...
A domestic corporation operating in a foreign country through a branch office includes income from t...
Corporate tax inversions are a growing tax avoidance trend. In a corporate tax inversion, an America...
Several prominent public corporations have recently embraced a noteworthy (and newsworthy) type of t...
By 1964, many years had elapsed since significant changes were made in the federal income tax treatm...
Capital and labor mobility facilitates cross-border activities of enterprises. In the era of...
Correspondence issued by the General Accounting Office with an abstract that begins "Some U.S.-based...
During the past few years, several high-profile U.S.-based multinational corporations have changed t...