The Resource Sales income derived through a partnership: when is it Subpart F income?

Sales income derived through a partnership: when is it Subpart F income?

Label
Sales income derived through a partnership: when is it Subpart F income?
Title
Sales income derived through a partnership: when is it Subpart F income?
Creator
Subject
Language
eng
Summary
The author discusses several issues concerning Subpart F income of a controlled foreign corporation (CFC), including private letter ruling LTR 201002024 which illustrates how the branch rule operates when the branches are owned by a partnership in which as CFC is a partner
Citation source
In: International tax journal. - Chicago. - Vol. 36 (2010),
http://library.link/vocab/creatorName
Osterberg, E.C. (Jr.)
Geographic coverage
International
Language note
English
http://library.link/vocab/subjectName
  • Subpart F income
  • CFC
  • partnership
  • branch rule
Label
Sales income derived through a partnership: when is it Subpart F income?
Instantiates
Publication
Label
Sales income derived through a partnership: when is it Subpart F income?
Publication

Library Locations

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