Publication Date

1-1-1987

Document Type

Dissertation/Thesis

First Advisor

McGilsky, Debra A.

Degree Name

B.S. (Bachelor of Science)

Department

Department of Accountancy

Abstract

The purpose of this paper is to provide a basic explanation of how three alternative business entities are taxed in the U.S. on their foreign-source earned income. The three entities that will be discussed include: (1) a division or branch of a U.S. corporation; (2) a subsidiary incorporation in a foreign country; and (3) an exporter of goods manufactured in the U.S. Additionally, the effect international tax treaties have on the taxation of these entities will also be discussed.

Comments

Includes bibliographical references.

Extent

32 pages, 12 unnumbered pages

Language

eng

Publisher

Northern Illinois University

Rights Statement

In Copyright

Rights Statement 2

NIU theses are protected by copyright. They may be viewed from Huskie Commons for any purpose, but reproduction or distribution in any format is prohibited without the written permission of the authors.

Media Type

Text

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