U.S. subsidiaries will typically want to repatriate cash to their foreign parent, which will want a return on its investment in the United States. Although many U.S. subsidiaries will distribute dividends, other repatriation methods are tax-efficient. This program will explain the tax implications of repatriation through dividends, interest, royalties, services, and transfer pricing.
Learning Objectives:
Reinhart Boerner Van Deuren s.c.
Chair of the International Department
[email protected]
(312) 207-5456
Robert Misey leads the International Department for the law firm of Reinhart Boerner Van Deuren and is a former trial attorney for the IRS Chief Counsel (International) in Washington, DC. Robert is Chair of the International Tax Committee for the ABA and a member of the bar in California, Wisconsin, and the District of Columbia. He is also the author of the book, A Practical Guide to U.S. Taxation of International Transactions and Federal Taxation: Practice and Procedure.