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Controlled Foreign Corporations Research & Guidance

Access Bloomberg BNA Tax & Accounting's expert-written analysis and news on controlled foreign corporations. Find practical research on controlled foreign corporations topic, such as CFCs, Section 956, taxation of U.S. shareholders, Section 960 foreign tax credits, and more. Access Bloomberg BNA Tax & Accounting's detailed analysis, practice tools, source documents, and working papers to help you with any transaction.

367 Transfers| Foreign Base Company Income| Repatriation|
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CFCs — Foreign Personal Holding Company Income provides a analysis of foreign personal holding company income, fore ...
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CFCs — Sections 959–965 and 1248 describes the rules that apply to the repatriation of the earnings and profits of ...
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Controlled Foreign Corporations — Section 956 analyzes the federal income tax consequences under §956 of the Intern ...
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Written by leading practitioners in the field, the Foreign Income Portfolios provide everything necessary to research, p ...
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This Portfolio examines the rules that apply to various forms of foreign corporate or partnership formations or res ...
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This Portfolio examines the rules that apply to various forms of foreign corporate or partnership formations or res ...
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CFCs — Foreign Base Company Income (Other than FPHCI) focuses on the provisions of §954 other than those pertaining ...