|
On Oct. 3, 2008, the Internal Revenue Service released ruling (IRS Notice 2008-91, Treatment of Certain Obligations under Section 956(c)), to ease tax treatment of loans from foreign subsidiaries.... more » (FEI members only)
The full text of this article is for FEI members only.
If you are an FEI member, please click here to login.
If you are not an FEI member, you can join today!
Members: if you are logged in, please make sure your membership has not expired »
*
|
|
|
|
|