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Structuring Cross-Border Transactions: US Tax Considerations by Herzfeld, Mindy, ISBN 9403528907, ISBN-13 9789403528908, Brand New, Free shipping in the US
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About this product
Product Identifiers
PublisherKluwer Law International
ISBN-109403528907
ISBN-139789403528908
eBay Product ID (ePID)6058383336
Product Key Features
Number of Pages352 Pages
Publication NameStructuring Cross-Border Transactions : Us Tax Considerations
LanguageEnglish
SubjectGeneral, Taxation, Corporate Finance / General
Publication Year2022
TypeTextbook
AuthorMindy Herzfeld
Subject AreaLaw, Business & Economics
FormatHardcover
Additional Product Features
Intended AudienceScholarly & Professional
LCCN2022-418421
Dewey Edition23
IllustratedYes
Dewey Decimal336.200973
SynopsisStructuring Cross-Border Transactions: U.S. Tax Considerations The U.S. international tax provisions that impact cross-border transactions are far-reaching. In recent years, the rules have become more complex, less systematic, and more difficult to make sense of. In this helpful book, a well-known author and practitioner demystifies many of the structuring questions implicated in inbound and outbound cross-border investments, acquisitions, and joint ventures, exposing traps and planning opportunities and showing how the rules really operate in specific fact patterns. All key aspects of structuring a cross-border transaction are analyzed, including: anti-deferral regimes (subpart F and global intangible low-taxed income (GILTI)); how check-the-box (CTB) regulations can maximize tax benefits and minimize tax inefficiencies; how the indirect foreign tax credit provides opportunities for tax beneficial planning; U.S. tax-free reorganization rules as they apply in the cross-border area; U.S. anti-inversion rules that affect cross-border deals; effect of anti-hybrid rules; concerns of particular classes of investors that will influence the form of a transaction; and typical points of friction between buyers and sellers in the cross-border context. Detailed examples, with financial metrics included, help guide decision making at every step and assist in the understanding of key drivers materially impacting results. Treaty considerations and implications are discussed throughout. This book fills a big gap in the tax literature by providing a guide for practitioners from any country who need to understand the U.S. tax consequences of a particular transaction. Its focus on how U.S. tax law affects the ways in which transactions are put together in the real world, and its in-depth analysis of how U.S. tax provisions interrelate and interact with foreign tax rules will prove of immeasurable value to corporate lawyers, finance professionals, and others active in cross-border mergers and acquisitions. It will become an indispensable reference tool for transactional tax practitioners.