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1. The Estate Planner: Treasury Issues Proposed Foreign Trust and Large Foreign Gift Regulations--Part 2

2. International Tax Watch: Using the Sourcing Rules to Maximize Foreign Tax Credits-A Primer for Sellers of Inventory.

3. Foreign earned income and housing exclusion denied: Another worker at a U.S.-Australia joint defense facility fails to nullify a closing agreement waiver.

4. Chart-of-the-Quarter: Worldwide Versus Water's-Edge Combined Reporting.

5. States that Permit Combined Reporting on a Worldwide Basis.

6. Sourcing of Income for Foreign Athletes and Entertainers.

7. Pre-Immigration Planning with the Foreign Trust: The Intersection of Income and Estate Tax.

8. Aroeste v. United States: Narrow FBAR Dispute Generates Broad Victories for All Taxpayers.

9. The Knight Watch: Happy Holidays from Treasury and Internal Revenue Service!

10. The Cashless Real Estate Deal: Beware of Phantom Withholding on Foreign Partners' Income.

11. Foreign partnership reporting requirements.

12. D.C. Circuit holds IRS can assess Sec. 6038(b) penalties.

13. DESELECTED

14. Practical advice on current issues.

15. Practical advice on current issues.

16. Redetermining foreign taxes in a post - TCJA world.

17. Practical advice on current issues.

18. Sec. 338(g) elections for foreign corporations and 'creeping acquisitions.'

19. Dual consolidated losses: Recapture considerations.

20. Can Extraterritorial Taxation Be Rationalized?

21. Delinquent FBAR Submission Procedures: 2024 Guide

22. Using IRS Form 8833 For Tax Treaty Benefits: Beginner's Guide (2024)

23. Can Green Card Treaty Tie-Breakers Avoid Filing FBARs (and Other International Information Returns)?

24. The OECD Doesn't Get GILTI.

25. Analysis of and reflections on recent cases and rulings.

26. Recapture of foreign loss does not exempt other gain from tax.

27. Short-term relief for foreign tax credit woes.

28. The New Corporate Alternative Minimum Tax - Five Not-So-Obvious Rule Applications to Consider: Like it or not, the CAMT rules have unexpected applications and potentially problematic effects.

29. Code Sec. 367(b): Where Do We Go from Here?

30. Live Tax Free or Die: The Increase in Telecommuting and Need for a Federal Uniform State Tax Regulation After New Hampshire v. Massachusetts.

31. The Abolition Of The Existing 'Non-dom' Tax Regime In The UK From 6 April 2025. What Does This Mean In Terms Of The UK Immigration Law?

32. Canadian Olympic Athletes May Be Taxed In France & How International Athletes Are Taxed In Canada: A Canadian Lawyer Explains Tax Rules

33. Attractive Enough To Be Forced?: The Implications Of The Force Of Attraction Rule For Certain Credit Funds

34. Receipt Of IRS CP15 Notice For Late Form 3520 Requires Quick Action

35. Si Al Foreign Tax Credit Sui Dividendi Di Fonte Estera

36. How To Distinguish FBAR Willfulness From Non-Willfulness With Examples

37. 5 Things You Should Know Now About IRS Form 3520-A

38. The Future Of The UK's Non-dom Regime Under The Labour Party

39. Hong Kong's Foreign-Sourced Income Exemption (FSIE) Regime Refined

40. Technical Corrections to the 2021 Final Foreign Tax Credit Regulations: Correcting the uncorrectable?

41. Foreign Tax Credit Regulations: Are you up-to-date?

42. Controlled Foreign Corporations.

43. In Narrow Ruling, Justices Uphold a Trump-Era Tax on Foreign Income

44. What Is Foreign Base Company Sales Income and Why Is the Whirlpool Case So Controversial?

45. How Best to Regard? Reg. s. 1.861-20 and Disregarded Sales of Inventory Property.

46. The Sixth Circuit's Whirlpool Opinion - What's the Impact? Ruling disregards regulatory manufacturing exception but preserves right to rely on regulations in applying branch rule.

47. Expatriation from the United States: The Inheritance Tax Under I.R.C. [section]2801.

48. TAX'S DIGITAL LABOR DILEMMA.

49. Moore Thoughts: An Incremental Opinion From The U.S. Supreme Court

50. An Overview Of Section 10L - Singapore Tax Treatment Of Gains From Sale Of Foreign Assets

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