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U.S. Income
Tax Rules for International E-Commerece
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The section of the Offshore
Tax Manual provides an overview of the U.S. tax rules for U.S. persons
who operate a business outside the U.S. or have affiliated entities
doing business outside the U.S., with an emphasis on the income tax
treatment of e-commerce transactions. It covers the tax rules for the
foreign earned income exclusion, the extra-territorial income
exclusion, foreign partnerships, foreign limited liability companies,
foreign corporations or IBCs and other aspects of doing business
outside the U.S.
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Offshore Tax Manual - Chapter 5
- Income Tax Guide to
International e-Commerce
- Income taxes
for web-based profits
- Other taxes
on e-commerce operations
- The allure
of a tax-free web-based business
- The
expatriation alternative
- Income taxes
versus sales taxes or the VAT
- Citizenship,
residency and domicile
- Worldwide
income taxes and tax credits
- Taxes on
individual foreign source income
- Taxes on
corporate income
- Specific
exemptions for non-resident alien investors
- Residency in
a low tax country for non U.S. citizens
- Worldwide
income taxation
- Tax credits
to compensate for dual taxation
- Exemptions
for working and living abroad
- Passthrough
taxation
- Entity
classification election
- Passthrough
taxation for certain corporate income
- Dual
taxation of corporate profits
- The ten-year
tax on U.S. expatriates
- Income
taxation based on worldwide income
- Tax credit
for income taxes to foreign countries
- Deduction
for dividends from other corporations
- Tax
treatment of affiliated or related corporations
- U.S.
treatment of foreign based branches
- Export sales
incentives
- Controlled
Foreign corporations
- Subpart F
income ("tainted income")
- Investment
income
- Sales to or
purchases from a related person
- Related
party personal service income
- Other
categories of Subpart F income
- U.S. source
income
- Transfer
pricing
- Gain on
transfers to Foreign Corporation for stock
- Passive
Foreign Investment Companies
- The Foreign
Tax Credit and CFCs
- U.S. source
income
- Effectively
connected income
- Substantial
presence test
- Branch
profits tax
- Sales into
the U.S. from a foreign country
- Orders
generated by offshore web servers
- With no U.S.
based operations
- With U.S.
based operations
- Nexus from
Internet marketing affiliate sites
- Foreign
corporations doing business outside U.S.
- Checklist of
U.S. Tax Reporting Forms for Foreign Operations
- Appendix
& Endnotes
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Offshore Press -- Your objective
resource for global financial planning
|
Chapter Six
The Offshore Tax Manual
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