U.S. Taxation of the Personal Service Income of Nonresident Aliens
p. 65
U.S. Taxation of the U.S. Source Non-Trade or Business Income of Nonresident Aliens and Foreign Corporations
p. 72
Organizing and Operating a United States Business: Foreign Controlled U.S. Corporations, Branches, and Partnerships
p. 113
Sale or Liquidation of Foreign Controlled U.S. Corporation
p. 181
Taxable and Tax-Free Acquisitions of Domestic Corporations by Foreign Corporations
p. 190
Organization and Operation of Foreign Branches by U.S. Persons: Impact of Foreign Tax Credit, Sourcing Rules, and Foreign Currency Roles
p. 223
Organization of Foreign Corporations and Foreign Partnerships
p. 348
Treatment of Actual and Imputed Dividends to U.S. Corporate Shareholders of Foreign Corporations: The Indirect Foreign Tax Credit, Look Through Rules, Resourcing Rules, Dividends Received Deduction, and Foreign Currency Rules
p. 373
Section 482: Transactions Between Commonly Controlled Corporations
p. 397
Controlled Foreign Corporations
p. 443
Foreign Personal Holding Companies
p. 521
Passive Foreign Investment Companies
p. 530
The Foreign Sales Corporation
p. 548
Possessions Corporations
p. 565
Taxable Sale or Liquidation of a Foreign Corporation and Impact of Section 1248
p. 580
Tax-Free Acquisitions, Liquidations and Spinoffs of Foreign Corporations and Impact of Section 338 on Taxable Acquisitions of the Stock of Foreign Corporations
p. 588
Index
p. 607
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