Search for: "Double A Corporation" Results 241 - 260 of 5,792
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23 Dec 2009, 5:28 am by Susan Brenner
As I may have noted, the Double Jeopardy clause of the Fifth Amendment to the U.S. [read post]
18 Apr 2019, 4:30 am by Kevin Kaufman
In an increasingly globalized world, many individuals and corporations work and do business abroad. [read post]
18 Aug 2008, 10:41 am
Part two discusses how the Administration's 2003 proposal to eliminate double-level corporate taxation morphed into an unstable legislative compromise based on tax rate parity for dividends and capital gains. [read post]
As a consumer bankruptcy attorney, I am often asked: Why does it seem that in the United States Corporate Bankruptcy is deemed a good business decision and Personal Bankruptcy is deemed to be an Individual failure. [read post]
23 Aug 2022, 6:30 am
Non–EU companies with a significant presence in the EU or with securities listed on an EU-regulated market will become subject to new EU rules on corporate sustainability disclosures (the Corporate Sustainability Reporting Directive, or CSRD). [read post]
23 Aug 2022, 6:30 am
Non–EU companies with a significant presence in the EU or with securities listed on an EU-regulated market will become subject to new EU rules on corporate sustainability disclosures (the Corporate Sustainability Reporting Directive, or CSRD). [read post]
6 Aug 2008, 2:54 pm
  These states allow LLC banks to be taxed as a partnership, avoiding the double taxation for corporations. [read post]
4 Jan 2008, 5:15 am
The share of corporate profits going to CEO pay has doubled since the 1990s. [read post]
28 Oct 2010, 7:15 am
 First, it explained that the procedural requirements posed by defendants would render double derivative lawsuits “virtually impossible to bring except in bizarrely happenstance circumstances” where, for example, plaintiff-shareholders of the acquired corporation at the time of the pre-merger wrongdoing also simultaneously (and coincidentally) held stock of the acquiring corporation at the time of the pre-merger wrongdoing complained of and the acquiring… [read post]
23 Aug 2010, 1:42 pm by Moderator
A Panama corporation with one Panamanian as shareholder was therefore exempt from a punitive anti-tax haven 3% tax levied on French properties owned by non-residents.Friendship treaties can also serve as tax avoidance tools when double taxation treaties are absent.France: Non-Discrimination and the Treaty of Establishment with Panama by Stefan N. [read post]
22 Dec 2023, 5:17 am by Rob Robinson
The post-pandemic landscape, with its starkly different workforce and market realities coupled with intensified corporate climate business risks, demands that companies stay the course and double down on CSR and ESG efforts, Berkowitz advises. [read post]
30 Jan 2023, 9:05 pm by renholding
Indeed, since the coalition started to mobilize its efforts in earnest (approximately five years ago, in 2017), the adoption rate of time-limited sunsets among dual-class companies has doubled. [read post]
  The post Improving Internal Controls: Lessons from the Case of the Double-Dealing Manager appeared first on HR Daily Advisor. [read post]
17 Sep 2010, 7:25 am by ITC 337 Law Blog
  Indeed, the ITC is on pace this year to see its docket of so-called 337 patent investigations nearly double from where it stood in 2006. [read post]
29 Jul 2008, 11:08 am
The company has many state employees and schoolteachers as members, as well as large and small corporate customers. [read post]
11 Sep 2008, 1:35 pm
These observations suggest that where federal regulators preempt, they are engaged in what can be considered a "doubled race. [read post]
25 Apr 2012, 7:30 am by Joe Kristan
An S Corporation does not pay corporate taxes but passes income through to the individual shareholders, who can report it as profits rather than wages in order to lower their employment tax burden. [read post]
23 May 2012, 9:46 am by Jesse Brodlieb
A recent decision of the Supreme Court of Appeal of South Africa considered the application of the capital gains article in a double tax convention based on the OECD model to a deemed disposition of property occurring as a result of an “exit tax” imposed on an emigrating corporation. [read post]