Loans to U.S. Subsidiaries Should Be Carefully Structured and Documented to Obtain U.S. Tax Benefits

Published date18 August 2017
Law FirmDorsey & Whitney LLP
AuthorJohn Hollinrake, Jr.
Subject MatterTransfer Pricing,Corporate Taxes,Subsidiaries,Foreign Subsidiaries,Multinationals,Loan Documentation,Canada,Recharacterization,Loan Agreements,Contract Terms,Debt-Equity

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