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Taxation of Cross-border Partnerships

Taxation of Cross-border Partnerships
Author: Jesper Barenfeld
Publisher: IBFD
Total Pages: 431
Release: 2005
Genre: Double taxation
ISBN: 9076078858

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Aims to identify and analyse problems related to double taxation of income attributable to cross border partnerships in asymmetrical situations de lege lata. This refers to cases where the same partnership, in across border owner/entity situation, is recognized as a taxable person in one country, but as transparent for tax purposes in the other."


Understanding the Taxation of Partnerships

Understanding the Taxation of Partnerships
Author: Elizabeth Jameson Johnson
Publisher:
Total Pages: 994
Release: 2017
Genre: Partnership
ISBN: 9781554968572

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Understanding the Taxation of Partnerships is the only publication in Canada that provides a comprehensive analysis of tax issues affecting one of the most common forms of business organization. This publication provides in-depth analysis of the tax issues that must be considered when a partnership is used as a business or investment vehicle. There have been significant developments in the law and administrative practice since the last edition was published. The book has been updated to include: Changes in Canadian domestic law and international tax developments that have affected the use of partnerships in cross-border planning; The partnership anti-deferral rules; Amendments to certain anti-avoidance provisions and introduction of new anti-avoidance rules to address the use of partnerships in certain circumstances; Changes in the law that have affected planning by members of professional partnerships; Recent court cases and administrative developments that have implications for partnerships.


Taxation of Partnerships and Partners Engaged in International Transactions : Issues in Cross-border Transactions in Germany and the U.S.

Taxation of Partnerships and Partners Engaged in International Transactions : Issues in Cross-border Transactions in Germany and the U.S.
Author: M.H. Seevers
Publisher:
Total Pages:
Release: 2002
Genre:
ISBN:

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This study examines basic issues in the taxation of partners and partnerships engaged in international transactions. Special consideration is given to the tax consequences resulting from the use of partnerships in cross-border transactions between the USA and Germany, the entitlement of partnerships to treaty benefits, and classification conflicts.


Structuring Cross-Border Transactions

Structuring Cross-Border Transactions
Author: Mindy Herzfeld
Publisher: Kluwer Law International B.V.
Total Pages: 435
Release: 2022-10-11
Genre: Law
ISBN: 9403528915

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Structuring Cross-Border Transactions: U.S. Tax Considerations The U.S. international tax provisions that impact cross-border transactions are far-reaching. In recent years, the rules have become more complex, less systematic, and more difficult to make sense of. In this helpful book, a well-known author and practitioner demystifies many of the structuring questions implicated in inbound and outbound cross-border investments, acquisitions, and joint ventures, exposing traps and planning opportunities and showing how the rules really operate in specific fact patterns. All key aspects of structuring a cross-border transaction are analyzed, including: anti-deferral regimes (subpart F and global intangible low-taxed income (GILTI)); how check-the-box (CTB) regulations can maximize tax benefits and minimize tax inefficiencies; how the indirect foreign tax credit provides opportunities for tax beneficial planning; U.S. tax-free reorganization rules as they apply in the cross-border area; U.S. anti-inversion rules that affect cross-border deals; effect of anti-hybrid rules; concerns of particular classes of investors that will influence the form of a transaction; and typical points of friction between buyers and sellers in the cross-border context. Detailed examples, with financial metrics included, help guide decision making at every step and assist in the understanding of key drivers materially impacting results. Treaty considerations and implications are discussed throughout. This book fills a big gap in the tax literature by providing a guide for practitioners from any country who need to understand the U.S. tax consequences of a particular transaction. Its focus on how U.S. tax law affects the ways in which transactions are put together in the real world, and its in-depth analysis of how U.S. tax provisions interrelate and interact with foreign tax rules will prove of immeasurable value to corporate lawyers, finance professionals, and others active in cross-border mergers and acquisitions. It will become an indispensable reference tool for transactional tax practitioners.


U.S. Taxation of Partnerships: Advanced Topics

U.S. Taxation of Partnerships: Advanced Topics
Author: Felix Lessambo
Publisher: Kluwer Law International B.V.
Total Pages: 146
Release: 2021-05-21
Genre: Law
ISBN: 9403533846

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As the number of businesses registered as partnerships continues to grow in the United States (U.S.)—there are now more than seven million—it is imperative for parties with business interests in the country to be fully informed of the challenges pertaining to this sui generis form of business and its intricate body of tax law. In an illustrative manner not covered by other books on the subject, this invaluable guide discusses, analyzes, dissects, and helps resolve issues arising in such contexts as accounting methods, anti-abuse rules, liabilities, dissolutions, mergers, and bankruptcy, with expert guidance on preparing partnership financial statements. With numerous boxed examples and references to important court cases, the author thoroughly describes such topics as the following: types of partnerships (LP, LLP, LLC, PTP); the two concepts of partnerships; partnership formation; transactions between partnership and partners; allocation of revenues among partners; the partnership taxable year; base erosion and anti-abuse tax (BEAT); centralized partnership audit regime; recourse and nonrecourse liabilities; and special tax rules for publicly traded partnerships (PTPs). Key abstract concepts are explained in a down-to-earth way, and all formal requirements—filing the partnership tax return (Form 1065), reporting, preparing for an audit, and so on—are clearly illustrated with examples. As the first book to describe the economics of partnerships in a concise and comprehensive manner, this book provides a reliable and authoritative overview of the complexities of U.S. partnership taxation and expounds the relevant rules in accessible language. It will be warmly welcomed by tax law practitioners, members of international and U.S. tax law associations, tax academics, and the international business communities with interests in the U.S.


International Taxation of Cross-border Leasing Income

International Taxation of Cross-border Leasing Income
Author: Amar Mehta
Publisher: IBFD
Total Pages: 307
Release: 2005
Genre: Corporations, Foreign
ISBN: 9076078718

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This book discusses the practical issues faced by the banks, financial institutions, companies engaging in leasing as a form of asset financing, and their tax advisers. The book elaborately deals with the divergent tax treatment in the five most important leasing jurisdictions (ie, US, Japan, Germany, UK and Netherlands) in respect of transaction characterization, depreciation, income-recognition and anti-avoidance rules, as well as divergence in the relevant bilateral tax treaty provisions. Further, the book investigates how the parties to a cross-border leasing transaction may obtain tax advantages due to such divergent tax treatments, and whether and to what extent the general or specific anti-avoidance rules in the jurisdictions may neutralize the tax arbitrage opportunities. Finally, it examines how the framework of the EC Treaty may be relevant for cross-border leasing transactions between the EC Member States.


EU Tax Disclosure Rules

EU Tax Disclosure Rules
Author: Haase, Florian
Publisher: Edward Elgar Publishing
Total Pages: 330
Release: 2021-08-27
Genre: Law
ISBN: 1800885636

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This book provides a comprehensive, practical guide to the 6th amendment of Council Directive 2011/16/EU on administrative cooperation in the field of taxation (known as DAC6). Florian Haase offers insight and clarity into the mandatory reporting obligations imposed by DAC6 on intermediaries engaged in tax matters involving cross-border activities, and in some cases taxpayers themselves, as well as the characteristics or ‘hallmarks’ outlined in the Directive that trigger these obligations.