Case: Petitioner Engaged in U.S. Trade or Business Based on Agent’s Activities, Liable for Foreign Withholding Tax (T.C.) (IRC §1446)

[ad_1] Petitioner, based in the Cayman Islands, conducted a U.S. trade or business through the activities of its investment manager, and all of Petitioner’s income for the years at issue…

IRS PLR: Extension Granted for S Corporation Election by Small Business Corporation (IRC §1362)

[ad_1] IRS PLR: Extension Granted for S Corporation Election by Small …  Bloomberg Tax [ad_2] Source link