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Advance Pierre Foods Recalls Ready-to-Eat Ground Beef Products Due to Possible Foreign Matter Contamination

Advance Pierre Foods, a Cincinnati, Ohio establishment, is recalling approximately 15,739 pounds of ready-to-eat (RTE) beef patty products that may be contaminated with extraneous materials, specifically small, green soft plastic.




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Amity Packing Company Inc. Recalls Raw Ground Beef Products Due to Possible Foreign Matter Contamination

Amity Packing Company Inc., a Chicago, Ill. establishment, is recalling approximately 2,020 pounds of raw ground beef products that may be contaminated with extraneous materials, specifically clear, thin pliable plastic.




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Conagra Brands, Inc. Recalls Frozen Not-Ready-to-Eat Chicken Bowl Products Due to Possible Foreign Matter Contamination

Conagra Brands, Inc., a Russellville, Ark. establishment, is recalling approximately 130,763 pounds of not ready-to-eat chicken bowl products because the product may contain extraneous material, specifically small rocks.




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SC's struggles with 'unruly horse' of public policy in foreign awards

The Nafed-Alimenta judgment shows it might perhaps be time for Parliament to intervene and clarify the notion of public policy in the context of foreign arbitral awards




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Covid-19: Relief for NRIs, foreign visitors as tax residency rules eased

The government imposed a lockdown on March 24 and is yet to open up travel, including international flights.




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U.s. foreign policy in Islamic South Asia




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The effects first language use phonological difficulty perception foreign accented speech [sic]




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Corrective feedback in online asynchronous and synchronous environments in spanish as a foreign language (sfl) classes




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The shift in United States foreign policy in the Middle East since 1989




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Realism, sovereignty and international relations




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Contradictions in a distance content-based English as a foreign language course




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"I stand for sovereignty"




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The realization of the speech act of refusal in Egyptian Arabic by American learners of Arabic as a foreign language




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The security and foreign policy of the islamic republic of iran :




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Experiences of foreign language teachers and students using a technology-mediated oral assessment




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The relationship between technology support and extent of technology integration into college-level foreign language curricula




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The emotional guardianship of foreign-born and native-born hispanic youth and its effect on violent victimization




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The impact of an online learning community project on university chinese as a foreign language students' motivation




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American Council of Voluntary Agencies for Foreign Service records




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Roman Aqueduct, Reign of Trajan




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Roman Aqueduct, Reign of Trajan




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Roman Aqueduct, Reign of Trajan




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Roman Aqueduct, Reign of Trajan




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Roman Aqueduct, Reign of Trajan




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Roman Aqueduct, Reign of Trajan




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Reign of the Red Queen: the future of bats hangs in the balance




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High Sovereign




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Air India opens bookings for foreigners, visa holders on outbound repatriation flights

For all flights between India and the USA under the Vande Bharat mission, Air India is charging a fixed fare of Rs 1 lakh per passenger. For flights between India and Singapore, the charge is Rs 18,000-20,000 per passenger, and it is Rs 50,000 per person for India-UK flights.




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Our capabilities have grown significantly: Foreign Minister S Jaishankar

The world has a growing interest in India becoming an additional engine of growth. It is also amenable to harnessing the reservoir of talent that India could provide with the passage of time.




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Capital choices: sectoral politics and the variation of sovereign wealth / Juergen Braunstein

Dewey Library - HJ3801.B73 2019




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Why not default?: the political economy of sovereign debt / Jerome Roos

Dewey Library - HJ8011.R66 2019




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The debt system: a history of sovereign debts and their repudiation / Éric Toussaint ; [translation coordinated, revised, and refined by Snake Arbusto]

Dewey Library - HJ8011.T6813 2019




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Investing in the homeland: migration, social ties, and foreign firms / Benjamin A.T. Graham

Dewey Library - HG5706.4.A3 G73 2019




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Sovereign debt: a guide for economists and practitioners / edited by S. Ali Abbas, Alex Pienkowski, and Kenneth Rogoff

Dewey Library - HJ8015.S68 2020




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Multinational banks and foreign expansion decisions Cansu Eray

Online Resource




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Sovereign wealth funds in resource economies: institutional and fiscal foundations / Khalid Alsweilem and Malan Rietveld

Dewey Library - HJ3801.A47 2018




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China's foreign direct investment in Latin America and the Caribbean: conditions and challenges / edited by Enrique Dussel Peters

Dewey Library - HG5160.5.A3 C45 2019




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International Taxation: U.S. Taxation of Foreign Persons and Foreign Income (2014 Supplement)

This 2014 Supplement updates the four volume, International Taxation: U.S. Taxation of Foreign Persons and Foreign Income. The parent volume offers an all-inclusive, easy-to-follow discussion of the United States tax regime as applied to foreign transactions. 

It shows the practitioner how to:
  • Structure international corporate transactions for maximum benefit. 
  • Minimize liability under applicable treaties, U.S. law, and applicable foreign law. 
  • Practice effectively within the often inconsistent web of legal authority. 
  • Covering both inbound and outbound transactions, author Joseph Isenbergh unfailingly reduces even the most complicated issues to clear, understandable strategies, and then provides unparalleled, incisive analysis.

Related Products

Schwarz on Tax Treaties, 3rd Edition
Foreign Bank Account Reporting – FBAR Compliance Guide, 2015 (U.S.)
INTERNATIONAL INCOME TAXATION: Code and Regulations - Selected Sections (2014-2015 Edition) (U.S.)
Transfer Pricing: Rules, Compliance and Controversy (4th Edition)
International Tax Newsletter
Practical Guide to U.S. Taxation of International Transactions (9th Edition)

If you would like more details about this product, or would like to order a copy online, please click here.




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Foreign Commerce and the Antitrust Laws, Fifth Edition

Updated: June 2012


Today, every international transaction has potential antitrust implications. Before you risk anything in foreign trade, consult the fifth edition of Wilbur L Fugate's Foreign Commerce and the Antitrust Laws. He offers expert analysis of how U.S. antitrust laws affect companies' abilities to import and export goods, invest in foreign companies and enter into joint ventures and other trading arrangements.

It provides in-depth discussion of current statutory and case law, as well as expert analysis of the latest developments, including areas like foreign licensing of intellectual property, transnational mergers and acquisitions, and transportation restrictions and other problems of international distribution. You will find everything you need to ensure protection under - and compliance with - today's far-reaching antitrust and competition laws.

Table of Contents:

  • Volume I
    • Chapter 1: Antitrust Statutes – Basic Philosophy and General Interpretation
    • Chapter 2: Jurisdiction Over Foreign Commerce Under the Antitrust Laws
    • Chapter 3: Antitrust Jurisdiction in Personam Over Corporations Operating Abroad
    • Chapter 4: Application of Antitrust Laws to International Trade Practices Generally
    • Chapter 5: Rule of Reason, Ancillary Restraints, and Antitrust Defenses
    • Chapter 6: Monopilization in Foreign Trade
    • Chapter 7: The Webb-Pomerene Act and the Export Trading Company Act
  • Volume II
    • Chapter 8: Patents and Technology
    • Chapter 9: Trademarks in Foreign Trade
    • Chapter 10: Foreign Subsidiaries and Acquisitions
    • Chapter 11: Foreign and Foreign-Related Joint Ventures
    • Chapter 12: Foreign Investment – Including Multinational Enterprise Aspects
    • Chapter 13: Auxiliary Antitrust Statutes and Antitrust Provisions of Regulatory Statutes
    • Chapter 14: Nature of Antitrust Judgments and Relief in Foreign Trade
    • Chapter 15: Foreign Antitrust Laws
  • Appendices
  • Table of cases
  • Table of statutes
  • Index

If you would like more details about this product, or would like to order a copy online, please click here.




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Foreign Bank Account Reporting Compliance Guide, 2014

Previously called:  FBAR Compliance Guide to Foreign Bank Account Reporting Compliance Guide.

If one owns or has authority over a foreign financial account, including a bank account, brokerage account, mutual fund, unit trust or some other type of financial account, he or she may be required to make an annual report of the account to the Internal Revenue Service. Under the Bank Secrecy Act, each United States person must file a Report of Foreign Bank and Financial Accounts (FBAR) (Form TD F 90-22.1), if the person has a financial interest in or signature authority (or other authority that is comparable to signature authority) over one or more accounts in a foreign country and the aggregate value of all foreign financial accounts exceeds threshold amounts at any time during the calendar year.

In addition, the Hiring Incentives to Restore Employment Act (HIRE Act), signed into law by President Obama in 2010, substantially incorporates the measures designed to stop tax evasion contained in the Foreign Account Tax Compliance Act (FATCA) of 2009.

Under FATCA, U.S. taxpayers with specified foreign financial assets that exceed certain thresholds must report those assets to the IRS on Form 8938, which will be attached to their federal income tax return. This reporting is in addition to the foreign bank account report, Form TDF 90-22.1 (FBAR).

The Form 8938 reporting is applicable to all “specified persons” who are considered to hold an interest in a “specified foreign financial asset” which meets the “reporting thresholds.” In December 2011, the IRS issued temporary (TD 9567) and proposed (REG-130302-10) regulations which provide guidance on the requirement that certain foreign financial assets be reported to the IRS for tax years beginning after March 2010. This requirement comes from Section 6038D which was added to the Internal Revenue Code under the HIRE Act.

The Foreign Bank Account Reporting Compliance Guide is an essential resource because substantial civil penalties may be imposed for non-wilful violations and for wilful violations criminal penalties and imprisonment may be imposed in addition to the civil penalties.

This is an important new IRS compliance requirement with huge monetary civil penalties at stake as well as potential criminal consequences. It has ongoing compliance reporting requirements with enforcement teeth behind it and this publication provides the necessary guidance.

Part 1 FBAR Reporting

Chapter 1       History of Foreign Financial Account Reporting  
Chapter 2       How to Define a U.S. Person
Chapter 3       What is a Financial Interest?
Chapter 4       What is Signature Authority?
Chapter 5       Financial Accounts
Chapter 6   &nb

If you would like more details about this product, or would like to order a copy online, please click here.




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Foreign Bank Account Reporting – FBAR Compliance Guide, 2015 (U.S.)

Author: Melissa S. Gillespie, CPA, JD, MST,

The Foreign Bank Account Reporting Compliance Guide is an essential resource because substantial civil penalties may be imposed for non-willful violations and for willful violations criminal penalties and imprisonment may be imposed in addition to the civil penalties.

This is an important new IRS compliance requirement with huge monetary civil penalties at stake as well as potential criminal consequences. It has ongoing compliance reporting requirements with enforcement teeth behind it and this publication provides the necessary guidance.

Part 1 FBAR Reporting
Chapter 1      History of Foreign Financial Account Reporting  
Chapter 2       How to Define a U.S. Person
Chapter 3       What is a Financial Interest?
Chapter 4       What is Signature Authority?
Chapter 5       Financial Accounts
Chapter 6       Exceptions to Filing
Chapter 7       How to Complete the Form TDF 90-22.1
Chapter 8       Penalties
Chapter 9       Recent Developments Through 2011
Chapter 10     Developments During 2012 and 2013

Part 2   FATCA Reporting
Chapter 11     An Overview of Reporting for Specified Foreign Financial Assets
Chapter 12     The HIRE Act and Form 8938 vs. Form TDF 90-22.1
Chapter 13     Temporary and Proposed Regulations for FATCA: Definitions
Chapter 14     Who is a Specified Person Under the FATCA Rules and What Are Their Applicable Filing Threshold Amounts
Chapter 15     What is Reportable on Form 8938
Chapter 16     How to Report Specified Foreign Financial Assets
Chapter 17     Penalties for Failure to File Form 8938  
Chapter 18     FATCA Withholding Provisions Found Under IRC Sections 1471-1474
   
9780808039532    7" x 10"      680 pages

Related Products

Schwarz on Tax Treaties, 3rd Edition
U.S. Master Tax Guide (2015)
INTERNAL REVENUE CODE: Income, Estate, Gift, Employment and Excise Taxes (Winter 2015 Edition)
Income Tax Regulations (Winter 2015 Edition), December 2014 (U.S.)
Full Article



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Archived Webinar - Reporting Foreign Property on the T1135

Interested in Reporting Foreign Property on the T1135, but missed the webinar that took place on May 5, 2014? Here is your chance to purchase the webinar recording.

The CRA has extended the filing deadline for the T1135 to July 31, 2014. If you will be preparing T1135 forms for T1 clients after tax season, have to prepare T1135 forms for corporations or just want to make sure that you filed your T1135s correctly, then view this webinar for an analysis of the revised T1135.

Maureen Vance, CPA, CA, a tax consultant with Wolters Kluwer CCH will explain the new reporting requirements on the T1135 and your reporting options, and will also review what constitutes Specified Foreign Property.

The webinar archive will include the following topics:

  • New T1135 requirements
  • Recap of the definition of Specified Foreign Property
  • The T3/T5 exclusion explained
  • The 2013 Transitional Reporting method
  • Choosing between the T3/T5 exclusion and the transitional reporting method
  • Filing the T1135
  • 2014 year ends
  • Penalties and extended reassessment
  • Q&A
    • Target Audience

    This archive webinar will be of interest to all professionals who prepare a T1135 for a taxpayer, whether the taxpayer is an individual, corporation, trust or partnership.

    This Webinar Includes: 

    • 30 days to review the webinar recording
    • PDF version of the presentation slides


     

    If you would like more details about this product, or would like to order a copy online, please click here.




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    Use of the Quinoline anti-malarial drugs Mefloquine and Tafenoquine in the Australian Defence Force / The Senate, Foreign Affairs, Defence and Trade References Committee

    Australia. Parliament. Senate. Foreign Affairs, Defence and Trade References Committee, author, issuing body