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International Taxation in the US (LAWS70124)
Graduate coursework level 7Points: 12.5Not available in 2018
About this subject
Overview
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This subject provides an overview of United States (US) income tax rules for cross-border investments, transactions, and other activities, with specific relevance for Australians investing into the US and for US persons investing into Australia. The subject will incorporate the latest developments in United States international tax rules. It will examine rules, regulations, and administrative practices with an emphasis on major case decisions relating to taxation of foreign persons in the US, taxation of US persons investing abroad, the foreign tax credit, controlled foreign corporations, transfer pricing, and US income tax treaties.
The subject will examine the rules contained in the US Internal Revenue Code (Title 26 of the United States Code), as well as regulations, rulings, and other documents produced by the US Treasury Department and the Internal Revenue Service.
Principal topics may include:
- Entity classification rules
- The definition of 'foreign' persons
- The economic substance doctrine
- Source rules
- Statutory rules for taxation of foreign persons
- Taxation of foreign operations of US persons
- US tax treaties
- The foreign tax credit
- Transfer pricing
- Foreign currency.
Intended learning outcomes
This subject provides a detailed understanding of US international tax rules for inbound and outbound investment, including:
- Taxation of portfolio and business cross-border investment
- Transfer pricing
- Thin capitalisation
- Cross-border mergers
- The foreign tax credit
- An introduction to the rules regarding controlled foreign corporations and foreign investment companies.
Last updated: 3 November 2022