Tag Archives: c corporation

Integrating Entity Structure & Accounting Method for Tax Optimization

The most powerful tax planning strategy available to an entrepreneur is the selection and integration of an entity structure and accounting method that balances personal needs with the overall business model.  Tax constraints and limitations make the selection process complicated, but with some careful planning and foresight, you can achieve tax optimization throughout the business […]

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Key Tax Questions to Ask Before Buying or Selling a Business

Are you considering selling your business? Have you considered the tax issues associated with that sale? A seemingly typical sales negotiation and transaction can go bad if tax implications haven’t been property analyzed up front by a qualified professional.  It is extremely difficult – and sometimes impossible – to roll back the clock on a […]

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Cross-Border Tax Planning: Deferral vs. Check-the-Box

A U.S. company has several options when it comes to planning for cross-border activities in a foreign country.  One option is for the U.S. company to conduct its business activities in a foreign country through a foreign branch.  The branch structure allows the U.S. company to operate directly in the foreign country without forming a […]

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Tax Planning Strategies for Doing Business Abroad

These days, many emerging businesses find themselves doing business abroad. Technology has drastically changed the traditional business model, enabling even a small business to operate globally.  Many companies often ask whether they should operate through their existing U.S. business (i.e., operate as an incorporated “branch”) or operate through a separate organized foreign entity. Quite often, […]

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Basic Tax Tips for Negotiating a Sec 338(h)(10) Transaction

In an acquisition scenario where an S Corporation is the target, it is common for the S Corporation’s shareholders and the qualified acquiring entity (the purchaser must be a corporation and/or members collectively of an affiliated group of corporations acquiring 80% of the underlying stock ownership of the target measured in terms of voting shares […]

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