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Chapter 1 Overview of U.S. Corporate International Taxation |
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1 | (1) |
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2 | (1) |
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U.S. Outbound Tax Concepts |
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3 | (1) |
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U.S. Inbound Tax Concepts |
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4 | (1) |
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Other fundamental U.S. international tax concepts |
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5 | (1) |
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International tax fundamental concepts |
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6 | (2) |
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8 | (2) |
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Introduction of International Tax Provisions enacted by the TCJA |
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10 | (1) |
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Introduction and listing of U.S. international tax provisions |
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11 | (4) |
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U.S. Export Tax Incentive through an IC-DISC |
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15 | |
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Chapter 2 Foreign Branches |
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1 | (1) |
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Operating through a foreign branch --- summary |
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2 | (6) |
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Form 8832, "Entity Classification Election"---"check-the-box" election |
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8 | (2) |
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Threshold of liability to foreign tax |
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10 | (1) |
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Foreign currency issues as applied to branches, or QBUs |
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11 | (3) |
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14 | (8) |
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22 | (2) |
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Dispositions of nonfunctional currency |
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24 | (2) |
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Translations with respect to debt instruments |
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26 | (4) |
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U.S. dollar approximate separate transactions method |
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30 | |
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Chapter 3 Determining Source of Income |
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1 | (1) |
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9 | |
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Chapter 4 Allocation and Apportionment of Deductions |
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1 | (1) |
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Allocation and apportionment of expenses, losses, and other deductions to U.S. and foreign-source income |
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2 | (3) |
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Allocation and apportionment of certain deductions |
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5 | (1) |
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Allocation and apportionment of interest expense |
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6 | (5) |
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Special apportionment rules for partnerships |
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11 | (1) |
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Special apportionment rules for corporations |
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12 | (1) |
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Special allocations of interest expense |
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13 | (2) |
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Research and experimentation expenditures |
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15 | |
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Chapter 5 U.S. Foreign Tax Credit System |
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1 | (1) |
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FTC system post-TCJA overview and status |
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2 | (1) |
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Internal Revenue Code sections dealing with foreign taxes |
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3 | (15) |
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FTC expanded rules and examples |
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18 | (7) |
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25 | (2) |
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Timing and recognition issue |
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27 | (6) |
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Partnerships, LLCs (taxed as U.S. partnerships), and S corps |
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33 | |
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Chapter 6 Outbound International Tax Provisions under Tax Cuts and Jobs Act |
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1 | (1) |
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Note to Reader or Practitioner |
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3 | (2) |
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CFCs and Subpart F --- Outline |
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5 | (10) |
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Foreign base company sales income---Examples |
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15 | (6) |
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FBC Services Income---Example and details |
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21 | (2) |
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TCJA outbound international tax provisions |
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23 | (20) |
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43 | (3) |
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Transfers of property by U.S. persons to foreign corporations --- Section 367 |
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46 | |
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Chapter 7 Inbound Taxation: U.S. Withholding Tax & Tax Treaty Concepts |
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1 | (1) |
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Threshold for U.S. inbound taxation |
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3 | (3) |
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U.S. trade or business > Effectively Connected Income (ECI) |
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6 | (4) |
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Thin capitalization -- interest expense limitation rules |
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10 | (4) |
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14 | (3) |
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U.S. inbound tax reporting obligations |
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17 | (1) |
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IRC Chapter 3 -- U.S. source withholding tax |
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18 | (2) |
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IRC Chapter 3 withholding tax rules |
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20 | (2) |
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22 | (1) |
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23 | (2) |
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25 | (3) |
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28 | (1) |
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29 | (1) |
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FDAP -- Compensation for services |
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30 | (1) |
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31 | (1) |
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Gains from sale of personal property (for example, capital gains) |
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32 | (1) |
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33 | (1) |
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Withholding tax obligations and procedures |
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34 | (3) |
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Payment of withholding tax |
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37 | (2) |
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Penalties for failure to withhold |
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39 | (2) |
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41 | (1) |
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42 | (2) |
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Withholding agent's payment and reporting requirements -- U.S. partnership |
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44 | (1) |
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IRC Chapter 4 -- FATCA "withholding" |
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45 | (3) |
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Summary of U.S. tax treaties and conventions |
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48 | (4) |
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U.S. bilateral income tax treaties |
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52 | |
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Chapter 8 Transfer Pricing and BEPS Overview |
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1 | (1) |
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Summary of U.S. Transfer Pricing rules |
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2 | (24) |
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26 | |
| Glossary |
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1 | (1) |
| Index |
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1 | (1) |
| Solutions |
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1 | (1) |
| Chapter 1 |
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1 | (1) |
| Chapter 2 |
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1 | (2) |
| Chapter 3 |
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3 | (1) |
| Chapter 4 |
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4 | (1) |
| Chapter 5 |
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5 | (2) |
| Chapter 6 |
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7 | (1) |
| Chapter 7 |
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8 | (4) |
| Chapter 8 |
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12 | |