Nov 20, 2017 | Firm Updates, International Tax
Foreign persons utilize U.S. disregarded entities for a variety of reasons: for limited liability protection, as a holding vehicle for business conducted entirely outside the United States, to shield certain activities and owners from disclosure, or simply to make it...
Feb 13, 2017 | International Tax
The first form we will discuss in this blog series is Form 5472—Information Return of a 25% Foreign-Owned U.S. Corporation or a Foreign Corporation Engaged in a U.S. Trade of Business. This form is required to be filed by U.S. corporations that have at least 25%...