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U.S. Taxation of Foreign-Controlled Businesses  
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Better assess the tax implications for non-U.S. businesses.

U.S. Taxation of Foreign-Controlled Businesses offers the advice and counsel necessary to make a sound assessment of the unique tax, legal and financial issues facing non-U.S. businesses operating in the United States.

Chapter 1: Overview of U.S. Taxation of Foreign Taxpayers Doing Business in the United States
Chapter 2: Structural Issues--Considerations in Forming a Structure and Selecting an Entity to Engage in Business
Chapter 3: Tax Treaty Planning
Chapter 4: Acquisition of U.S. Operations
Chapter 5: Financing the U.S. Operation
Chapter 6: Earnings Stripping
Chapter 7: Transfer Pricing
Chapter 8: Economics in Establishing a Sound Transfer Pricing Policy
Chapter 9: Customs Issues for Imported Goods
Chapter 10: Antidumping and Countervailing Duties
Chapter 11: U.S. Taxation of Intangible Property
Chapter 12: Reporting and Disclosure Requirements for Foreign Held Companies
Chapter 13: State and Local Tax Aspects of International Investment
Chapter 14: Foreign Investment in U.S. Real Estate
Chapter 15: Preimmigration Planning for Executives of Foreign Corporations
Chapter 16: Avoiding and Resolving International Tax Disputes
Chapter 17: Withholding Obligations for Nonresident Aliens
Chapter 18: Foreign Tax Considerations for U.S. Investments


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