07Oct
Proposed Section 382 Regulations Raise International Tax Issues for Post-Acquisition Restructuring
The new regulations proposed in September under Section 382(h) regarding built-in-gain raise several international tax issues that companies planning for post-acquisition integration of loss corporations should be aware of. For a U.S. corporation...
By:
Fenwick & West LLP
Source Url: https://www.jdsupra.com/legalnews/proposed-section-382-regulations-raise-35194/
Related
In today’s show, host Tom Fox speaks with Shaina Weisinger of Repurpose House, a company that repur...
Read More >
The U.S. Department of Labor issued its bi-annual regulatory agenda update on November 20, 2019. Of...
Read More >
The litigator's secret weapon: good manners. William Hanson, the etiquette columnist for the Daily ...
Read More >
The start of a new year always brings a fresh batch of employment concerns. While some workplace iss...
Read More >
Virtual healthcare staked out exciting new ground with the recently announced $18.5 billion merger o...
Read More >
The Chancellor of the Exchequer has announced in the 2020 Budget that the government "will invest an...
Read More >