Indirect foreign tax credits /

" ... contains a detailed analysis of [section] 902, under which a domestic corporation may be deemed to have paid, for purposes of the [section] 901 foreign tax credit, foreign income taxes paid by a foreign corporation from which the domestic corporate shareholder receives a dividend. The por...

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Bibliographic Details
Main Author: Carr, John L., 1946-
Corporate Author: Tax Management Inc
Other Authors: Moetell, Michael C., 1961-
Format: Online
Language:English
Published: Arlington, VA : Tax Management, [©2007]-
Series:Tax management portfolios ; 902-2nd
Subjects:
Online Access:https://www.bloomberglaw.com/product/tax/citation/tm%20902
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