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Articles 1 - 7 of 7

Full-Text Articles in Law

A Framework On Consumption Taxes And Their Impact On International Trade, Jane L. Seigendall May 2000

A Framework On Consumption Taxes And Their Impact On International Trade, Jane L. Seigendall

Penn State International Law Review

No abstract provided.


Principles Of Taxation For Emerging Economies: Lessons From The U.S. Experience, Robert W. Mcgee Sep 1993

Principles Of Taxation For Emerging Economies: Lessons From The U.S. Experience, Robert W. Mcgee

Penn State International Law Review

No abstract provided.


Internal Revenue Code Section 7701(B): A More Certain Definition Of Resident, Rolf E. Kroll Jan 1985

Internal Revenue Code Section 7701(B): A More Certain Definition Of Resident, Rolf E. Kroll

Penn State International Law Review

The purpose of this Note is four-fold. First, it seeks to articulate the central concepts underlying taxation of nonresidents and residents. In so doing, the discussion endeavors to show the importance of section 7701(b) of the Internal Revenue Code. Second, it attempts to cancas the case law and pertinent regulations and rulings and highlight the ambiguities therein. Third, the discussion will address the essential features of section 7701(b) and illustrate Congress' new approach to the problem of determining resident status for aliens. Finally, the policy implications of 7701(b) are examined and suggestions for further improvement are made.


States' Use Of The Unitary Method: A Taxing Burden On International Commerce, Bryan C. Skarlatos Jan 1984

States' Use Of The Unitary Method: A Taxing Burden On International Commerce, Bryan C. Skarlatos

Penn State International Law Review

This comment will discuss the constitutionality of state use of the unitary method to tax multinational corporations. After considering the problems involved in allocating income between the jurisdictions in which a multinational corporation operates, the comment will examine the two predominant methods of allocation designed to solve these problems. The discussion will then analyze and criticize the Court's decision in Container Corp. v. Franchise Tax Board.


Special U.S. Rules Directly Affecting Foreign Investment, C. Tanner Rose Jr. Jan 1982

Special U.S. Rules Directly Affecting Foreign Investment, C. Tanner Rose Jr.

Penn State International Law Review

The purpose of this article is to provide a list of special U.S. rules which guide domestic attorneys in counseling foreign investors on tax and finance consequences of their transactions in the United States. A firm grasp of these rules, as a starting point, enables an attorney to formulate proper suggestions to foreign clients in acquiring property and conducting business without being subject to excessive tax consequences.


The Foreign Investment In Real Property Act Of 1980, Lisa B. Petkun Jan 1982

The Foreign Investment In Real Property Act Of 1980, Lisa B. Petkun

Penn State International Law Review

For a number of years, foreign investors were able to invest in real property located in the United States and to avoid, to a great extent, the payment of United States income tax on the operating income from the property and on the gain realized upon the disposition of the property. However, with the enactment of the Foreign Investment in Real Property Tax Act of 1980 ("FIRPTA") the ability of foreigners to avoid the United States tax gains realized upon the sale of real property located in the United States has been greatly circumscribed. To accomplish this result, FIRPTA added …


United States Taxation Of Foreign Direct Investment, Alan G. Cohate Jan 1982

United States Taxation Of Foreign Direct Investment, Alan G. Cohate

Penn State International Law Review

This article, while broad in scope, is narrow in focus. It aims solely at those aspects of the United States' internal tax laws which should be considered by the foreign investor in planning for his investment. These tax considerations may affect the structure of operation of the business enterprise in the United States. The article is not intended as a short course in United States taxation, and the reader should be aware that the complexities of the United States Internal Revenue Code and the regulations issued thereunder are so great that no particular fact situation can be correctly analyzed except …