|Publisher||TAXMANN PUBLICATIONS PVT. LTD.|
|Publication Year||2015 edition|
|Number of pages||432|
Chapter 1: Will a foreign tax liability arise if one has a
foreign source of income or capital?
Chapter 2: Is it possible to reduce a foreign tax liability
through treaty or other arrangements?
Chapter 3: Will one have to pay domestic tax on overseas
sources of income or capital because of one’s residence,
even if one does not remit the income or capital?
Chapter 4: Is it possible to reduce one’s domestic taxation
liability by using foreign entities?
Chapter 5: Have you considered the impact of indirect
taxes on income and capital?
Chapter 6: Would the advice stand up to scrutiny?
Chapter 7: Do the entities involved in a structure have
Chapter 8: Are transactions carried out at arm’s length?
Have you used
The Principles of International Tax Planning?
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