Court Says No Tax Due on Foreign Corporation’s Redemption of U.S. Partnership Interest

Many businesses that operate outside of the U.S. want to do business in the U.S. and they want to limit their exposure to U.S. income taxes. To do this, many in-bound investments are structured as U.S. partnerships with the parntership ….. The post Court Says No Tax Due on Foreign Corporation’s Redemption of U.S. Partnership Interest appeared first on Houston Tax Attorney.
Source: Houston Tax Attorney

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