Code §956 — Client Alerts — Ruchelman P.L.L.C.
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Client Alerts

I.R.S. Proposes Reduction in Overseas Income Inclusions For Corporate U.S. Shareholders

I.R.S. Proposes Reduction in Overseas Income Inclusions For Corporate U.S. Shareholders

The I.R.S. proposed regulations affecting a controlled foreign corporation (“C.F.C.”) and its U.S. Shareholders when the C.F.C. makes an investment in U.S. Property.

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