Structuring Foreign Investment in the United States

by | Jan 27, 2020

Structuring foreign investment in the U.S. is a hot topic.  With lots of money pouring into the U.S. from the BRIC countries a lot of practitioners find themselves representing foreign clients. Representing such clients requires an understanding of U.S. taxation of foreigners and choice of entity.  The discussion of U.S. taxation of foreign investment in the U.S. will provide an overview of effectively connected income, FDAP withholding, FIRPTA withholding, treaty application, branch profits tax and residence tests.  Particular attention will be devoted to appropriate entity structures, including onshore-offshore hybrid structures.

 

 

FOLLOW US ON LINKEDIN

 

SEE MORE ALIANT INSIGHTS

Related Items

On-demand Webinar: The 2nd Economic Crime Conference

On-demand Webinar: The 2nd Economic Crime Conference

Limitation Period of Claims in the Netherlands

Limitation Period of Claims in the Netherlands

Vienna Convention

Vienna Convention

The failure of the Valley Bank: worried about the safety of your bank balances?

The failure of the Valley Bank: worried about the safety of your bank balances?

On-demand Webinar: The 2nd Economic Crime Conference

On-demand Webinar: The 2nd Economic Crime Conference