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BrittneyABuell BrittneyABuell
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6 years ago
The precise shape of the structure to be pursued by a U.S. active investor - branch, subsidiary, etc. - in a foreign country depends largely on the tax treatment of the host country and U.S. laws. In many cases:
 A) no taxes will be owed.
 B) remittances from branches are taxed at a higher rate than dividends from a subsidiary.
 C) profits are taxed at a lower rate due to depreciation schedules of certain countries.
 D) none of the above.
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BlackfireluvBlackfireluv
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6 years ago
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