The Use of Contractual Arrangements by the U.S. International Tax Law to Distinguish between Royalties and Remuneration for Services
This article written by Artem Fokin (LL.M.), a New York tax attorney practicing in the area of international taxation, taxation of mergers and acquisitions, and taxation of derivatives, discusses the interplay between U.S. international tax law and other areas of American law as well as foreign law....
Main Author: | A. V. Fokin |
---|---|
Format: | Article |
Language: | English |
Published: |
Moscow State Institute of International Relations (MGIMO)
2008-03-01
|
Series: | Московский журнал международного права |
Online Access: | https://www.mjil.ru/jour/article/view/1423 |
Similar Items
-
International Petroleum Fiscal Regimes: Trends in Tax-Royalty Worldwide and in Romania
by: MARIANA PAPATULICĂ
Published: (2014-05-01) -
Tax effort and oil royalties in the Brazilian municipalities
by: Fernando Antonio Slaibe Postali
Published: (2015-09-01) -
Tendering procedures and contractual arrangements : survey /
by: Royal Institution of Chartered Surveyors. Quantity Surveyors' Committee. Research and Information Group, et al.
Published: (1967) -
Which builder? : tendering and contractual arrangements
by: 2948 AQUA Group
Published: (1975) -
The contractual property arrangement of unmarried partners
by: Novaković Dušan
Published: (2019-01-01)