“The significance of “insurance purpose” in relation to the unrelated party criteria for the anti-tax haven (controlled foreign company (CFC)) rules (July 18, 2024 Supreme Court Decision)”
Articles

“The significance of “insurance purpose” in relation to the unrelated party criteria for the anti-tax haven (controlled foreign company (CFC)) rules (July 18, 2024 Supreme Court Decision)”

Authors
Ryoko Takeda
Name of Magazine
Business Homu
Publisher
Chuokeizai-sha, Inc.
Date
December 2024
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