U.S.-to-foreign transfers under section 367(a) [electronic resource] / Rafic H. Barrage, Partner, Baker and McKenzie LLP, Washington, D.C., Daniel V. Stern, Partner, Baker and McKenzie LLP, Washington, D.C., Katie M.B. Marcusse, Associate, Baker and McKenzie LLP, Washington, D.C.
" ... describes in detail the statutory and regulatory rules of [section] 367(a), one of the fundamental international tax provisions that addresses outbound transfers of property, as well as the related reporting provisions of [section] 6038B."
Saved in:
Online Access: |
Law Students, Faculty, and Staff (via Bloomberg Law) |
---|---|
Main Authors: | , , , |
Corporate Author: | |
Other title: | Bloomberg Law online Bloomberg Law online. |
Format: | Electronic Website |
Language: | English |
Published: |
Arlington, VA :
Tax Management,
[2009]-
|
Series: | Tax management portfolios ;
6100. |
Subjects: |
Internet
Law Students, Faculty, and Staff (via Bloomberg Law)Law - Electronic Resources
Available |