The Resource Controlled foreign corporations and foreign partnership loan transactions

Controlled foreign corporations and foreign partnership loan transactions

Label
Controlled foreign corporations and foreign partnership loan transactions
Title
Controlled foreign corporations and foreign partnership loan transactions
Creator
Subject
Language
eng
Summary
This report addresses the application of section 956 to loans made by a controlled foreign corporation to a foreign partnership in which one or more partners are U.S. shareholders of the controlled foreign corporation
Citation source
In: Tax notes international. - Arlington. - Vol. 43 (2006),
Geographic coverage
North America
Language note
English
http://bibfra.me/vocab/lite/organizationName
New York State Bar Association Tax Section
http://library.link/vocab/subjectName
  • CFC
  • loan
  • partnership
  • shareholder
Label
Controlled foreign corporations and foreign partnership loan transactions
Instantiates
Publication
Label
Controlled foreign corporations and foreign partnership loan transactions
Publication

Library Locations

    • IBFD Library AmsterdamBorrow it
      Rietlandpark 301, Amsterdam, 1019 DW, NL
      52.3736660 4.9336932
Processing Feedback ...