U.S. International Taxation quickly and efficiently delivers answers to any and all key questions concerning international taxation.
PART B: Taxation of U.S. Persons with Foreign Activities Chapter B1: General Taxation of U.S. Citizens, Resident Aliens, and Domestic Corporations With Foreign Activities or Income Chapter B2: Foreign Corporations Owned by U.S. Persons Chapter B3: Controlled Foreign Corporations Chapter B4: Foreign Tax Credits Chapter B5: Reorganizations and Divisions Involving Foreign Corporations Owned by U.S. Persons Chapter B6: Distributions, Sales, Pledges, Redemptions, and Liquidations Involving Foreign Corporations Owned by U.S. Persons Chapter B7: U.S. Persons in Partnerships and Limited Liability Companies with Foreign Activities or Income
PART C: Taxation of Foreign Persons with U.S. Activities Chapter C1: General Taxation of Foreign Persons With U.S. Activities or Income Chapter C2: Withholding Chapter C3: U.S. Corporations Owned by Foreign Persons Chapter C4: Income Tax Treaties
PART D: U.S. Possessions Chapter D1: U.S. Taxation Relating to Possessions
Appendix A. The Legislative History of U.S. International Taxation