Published on 01 Dec 08
by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE
The need to understand the US tax implications for inbound entities cannot be understated. Inbound entities must have regard to US tax laws prior to entering, to determine the potential impact on their business. This article briefly identifies some of the key considerations in the application of US tax to business income for foreign companies.
Neil Pereira CTA
Neil is a Principal of Corporate and International Tax with Deloitte Touche Tohmatsu Ltd. Current at 01 June 2010
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