Treatise Chapters |
Coping with a Sandwich Structure: How Does a U.S. Corporate Acquirer Minimize Tax Costs Where Its Foreign Target Owns a U.S. Company?; And Chapter 253A: Spinning Out of a Sandwich Structure--IRS Provides Favorable Code Sec. 355 Rulings
Coping with a Sandwich Structure: How Does a U.S. Corporate Acquirer Minimize Tax Costs Where Its Foreign Target Owns a U.S. Company?; And Chapter 253A: Spinning Out of a Sandwich Structure--IRS Provides Favorable Code Sec. 355 Rulings -
Corporate Tax Practice Series
, Wednesday, March 23, 2011
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