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28 Jun 2010, 8:26 am by B.C. Barnes
., 1969-TITLE: From sword to shield: the transformation of the corporate income tax, 1861 to present / Steven A. [read post]
4 Feb 2023, 1:02 pm by Mavrick Law Firm
”  The United States District Court for the Southern District of Florida recently held in In re Inmobiliaria Tova, S.A., No. 20-24981-MC, 2021 WL 925517, at *7 (S.D. [read post]
23 Jul 2020, 3:54 am by Kevin Kaufman
How: Design of an Allowance for Corporate Equity An allowance for corporate equity can be designed in various ways, with the rate and base being the two main features. [read post]
10 Sep 2015, 6:22 am
Posted by Joseph Mc Cahery, Tilburg University, on Thursday, September 10, 2015 Editor's Note: Joseph Mc Cahery is Professor in the Department of Business Law at Tilburg University. [read post]
3 Apr 2009, 9:00 pm
Case law regarding termination It can be concluded from a Netherlands Antilles case regarding failed negotiations for the continuation of a license agreement (franchising) (Antillean Family Foods NV vs Mc Donald's Corporation, Supreme Court, February 26, 1993, NJ 1993, 289), that under certain circumstances the termination of an agreement may constitute an obligation (to negotiate a renewal of contract or) to pay damages / compensation. [read post]
22 Jan 2019, 11:46 am by Kevin Kaufman
The OECD’s new database Corporate Tax Statistics provides insights into the recent history and current state of corporate income taxes (CIT) around the world. [read post]
3 Jul 2019, 11:02 am by Kevin Kaufman
Finally, the rules include the application of a corporate tax threshold for the CFC income to be taxable income for the parent corporation. [read post]
24 Jun 2019, 11:18 am by Kevin Kaufman
This applies to foreign corporations, estates, or partnerships. [read post]
10 Oct 2019, 3:45 am by Kevin Kaufman
Our corporate income tax component scores countries not only on their corporate tax rates but also on how they handle net operating losses, capital allowances, and inventory valuation, whether distortionary patent boxes and R&D credits are granted, and on the complexity of the corporate income tax. [read post]
20 Aug 2007, 2:00 pm
Hall, __ M.J. ___, No. 07-0384/MC (C.A.A.F. [read post]
13 Jun 2019, 12:44 pm by Kevin Kaufman
From the French perspective, those subsidiaries are foreign corporations and their earnings might not get taxed in France. [read post]
16 Dec 2014, 1:02 pm by Nikki Siesel
McDonald’s Corporation (“Opposer”) opposed both trademark applications on the grounds of likelihood of confusion, dilution, and lack of ownership. [read post]
1 Nov 2018, 6:00 am by Kevin Kaufman
This change would allow France to move from 35th to 33rd on the corporate taxation component, however. [read post]
18 Oct 2022, 1:48 pm
Jennings, E079203) And see also Controversial Orange County Judge Faulted For Denying Relief From DefaultToday's DJ has MC Sungaila's The Best Beloved Thing is Justice--The Life of Dorothy Wright Nelson.Judge Nelson’s wide-ranging influence, and her trailblazing legal work – as the sole woman Dean at an ABA-accredited law school in the 1960s and 1970s, as one of the early women to serve on corporate boards, as one of the pioneers of mediation and ADR and law… [read post]
19 Mar 2020, 3:45 am by Kevin Kaufman
That foreign subsidiary is—like any other UK business—subject to corporate income tax in the UK. [read post]
31 May 2019, 9:47 am by Rebecca Tushnet
  Anyway, in another interview, Goeler stated that AB would continue to focus on “ingredient transparency,” and AB’s senior director of corporation communications echoed this, concluding that “Knowing what is and isn’t in your beer -- whether you paid for it or not -- can only be good for the beer industry overall. [read post]