Multiple Choice
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 these are correct.
Correct Answer:

Verified
Correct Answer:
Verified
Q65: Draft a model law (plan or treaty)for
Q66: When choosing to establish a foreign branch
Q67: The vehicle of choice most often for
Q68: Dividends paid from a foreign subsidiary to
Q69: Presume that you are considering investing in
Q71: Weigh the relative benefits and detriments of
Q72: Insurance is available from the U.S.AID to
Q73: Even if an investor proposes to bring
Q74: A U.S.enterprise that wishes to establish an
Q75: California Agricultural Aircraft Services,Inc.(CAAS)is a California corporation