The Resource International tax planning for closely held U.S. companies

International tax planning for closely held U.S. companies

Label
International tax planning for closely held U.S. companies
Title
International tax planning for closely held U.S. companies
Creator
Subject
Language
eng
Summary
Special planning is required when a closely held U.S. company - whether partnership, S corporation, LLC or corporation - expand abroad. In particular, the use of hybrid or reverse hybrid entities can allow for the minimization of tax liabilities in both the U.S. and foreign country. The article discusses several of the difficulties in planning for international operations of closely held businesses, as well as suggested solutions
Citation source
In: Journal of taxation. - Washington. - Vol. 97 (2002),
http://library.link/vocab/creatorName
Fox, S.C
Geographic coverage
International
Language note
English
http://library.link/vocab/subjectName
  • international tax planning
  • hybrid entity
  • close company
Label
International tax planning for closely held U.S. companies
Instantiates
Publication
Label
International tax planning for closely held U.S. companies
Publication

Library Locations

    • IBFD Library AmsterdamBorrow it
      Rietlandpark 301, Amsterdam, 1019 DW, NL
      52.37366609999999 4.9336932
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