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Articles 91 - 92 of 92
Full-Text Articles in Law
Tax Considerations In Selecting A Form Of Foreign Business Organization, Walter W. Brudno
Tax Considerations In Selecting A Form Of Foreign Business Organization, Walter W. Brudno
Vanderbilt Law Review
The provisions of the Internal Revenue Code which are of particular relevance to the planning of foreign operations are few in number and are generally deceptively simple in phraseology. The substantive provisions consist of those sections which specify rules for determining the source of income, for calculating the credit for foreign taxes paid in respect of foreign source income, and for allowance of concessional treatment accorded Western Hemisphere Trade Corporations, United States Possessions Corporations, and China Trade Act Corporations. Measures designed to prevent tax avoidance which are of particular relevance are those which relate to acquisition of corporate control for …
Stockholders' Derivative Suits In Southern Jurisdictions, W. Jack Williams
Stockholders' Derivative Suits In Southern Jurisdictions, W. Jack Williams
Vanderbilt Law Review
The stockholders' derivative suit has been of increasing prominence during the past several decades. As an action in equity instituted by individual stockholders, the suit is representative in nature in that the stockholder prosecutes the action for all stockholders who are similarly situated. Yet, as the suit is in behalf of the corporate entity and not the stockholders personally, it is derivative.'
As in most other areas of corporate law in southern jurisdictions,there exists no comprehensive body of statutory or case law dealing with all facets of stockholders' derivative suits. The greater part of the body of law in this …