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C&L (US) - Tax Publications: International
Foreign Tax Simplification Remains a Focus of Congressional Concern
FTC Carrybacks Can Eliminate Interest
New Rules for Payments to Nonresidents Offer Benefits While Extracting a Price
Flurry of Legislation has Broad International Tax Implications
Section 956A Excess Passive Assets Rules Repealed
Proposed Check-the-Box Regs Offer Certainty, Potential Opportunities
Global Tax Communiqué, July 1996
Global Tax Communiqué, April 1996
Legislative Logjam Breaks: Congress Passes Four Tax Bills
Outbound and Inbound Transfers
Bright Export Picture, Anticipated Tax Changes Continue to Favor FSCs
Final Transfer Pricing Penalty Regulations Issued
Final Cost Sharing Regulations Issued
New Competent Authority Procedures Issued
The End of Section 936 As We Know It Demands Manufacturing Strategy Review
FSCs--It's Time to Move to Barbados
A World of Global Tax News
What Next, if Companies Lose Sec. 936 Tax Benefits?
Tokumei Kumiai Arrangements in Japan
Global Tax Communiqué, October 1995
Global Tax Communiqué, June 1995
Global Tax Communiqué, March 1995
United States: Entity Classification Rules May Change
Extension of Mexican Assets Tax Complicates Transfer Pricing for Maquiladoras
Expatriation Tax Is Political 'Hot Potato'
Required Withholding on Foreign Student Scholarships
Coping With the Excess Passive Assets Rules
New Procedures Help Multinationals Ease Double Tax
New Competent Authority Procedures Proposed
Re-Structuring In a Global Environment
Section 902 Proposed Regulations Issued
Software Exports Using a FSC
World Tax
Doing Business Around the World
Offshore Financial Centre Tax Guide and Directory
TaxNews International
Worldwide Corporate Tax Guide and Directory, 1996 Edition
1997 Worldwide Executive Tax Guide
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