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![]() International Tax LawEvery international business transaction must provide for tax consequences likely to be encountered in at least two different countries – the country in which the party undertaking the international business transaction is domiciled and the country in which the international business transaction is undertaken. The United States taxes international business transactions in accord with the requirements of the Internal Revenue Code, the Internal Revenue Regulations and a series of tax treaties that the United States has negotiated -- and continues to negotiate -- on an individual basis with various countries throughout the world. Countries outside the United States tax international business transactions in accord with the requirements of their respective tax laws, tax regulations and individually negotiated country-specific tax treaties. It is in fact the confluence of different countries’ separate tax regimes in international business transactions that makes the discipline of international tax law as complex, problematic and troublesome as it often tends to be. Nonetheless, the tax consequences of international business transactions need to be taken into account in the planning and execution of international business transactions, as failure to do so could quite possibly cause an otherwise- profitable business transaction to become a loosing proposition. Some of the international tax services we provide include: Advance Pricing Arrangements Competent Authority Requests Controlled Foreign Corporation (CFC) Counseling Expatriate Tax Package Development Foreign Tax Credit Counseling Foreign Tax Credit Planning Foreign Tax Law & Regulation Counseling Foreign Tax Reporting Obligation Counseling IRS Reporting Obligation Counseling Passive Foreign Investment Company Counseling Sub-Part F Income Counseling Tax Incentive Programs for International Investment Counseling Tax Incentive Programs for International Trade Counseling (formerly FSC Counseling and Extra-Territorial Income Counseling) Tax Minimization in Establishing Foreign Operations Tax Minimization in Ongoing International Business Operations Tax Minimization in Liquidating International Business Operations Tax Planning for International Business Operations Tax Planning for International Business Transactions Tax Planning for International Investments Tax Planning for International Mergers & Acquisitions Tax Planning for International Joint Ventures Tax Treaty Applications Tax Treaty Planning Transfer Pricing Arrangements Transfer Pricing Audit Preparation Transfer Pricing Audit Representation Transfer Pricing Issues Value Added Tax Planning Value Added Tax Refund Counseling Withholding Tax Counseling Withholding Tax Minimization
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