Press Room
March 04, 2016
Tax Planning for U.S. Operations of Foreign-Owned Enterprises
This column discusses the key organizational, operational, and repatriation tax issues of foreign-owned U.S. enterprises, starting from the assumption that the foreign corporation is entitled to the benefits available under a U.S. income tax treaty (the tax treaty).
Pennsylvania CPA Journal
March 2, 2016
About the Author
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Andrew BernardPhiladelphia, PA