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Doing business in New Zealand
- Simpson Grierson
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- New Zealand
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- June 1 2012
This guide introduces you to New Zealand's business and trading environment, with particular focus on legal and regulatory matters
Doing business in the United Kingdom 2012
- Bryan Cave LLP
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- European Union, United Kingdom
- -
- May 23 2012
This guide provides a general overview of the law applicable to businesses operating in the United Kingdom and in particular, guidance on legal matters to any non UK entity which wants to do business in the UK
$3.6 billion dollars has recently been announced as awarded by the Treasury to New Markets Tax Credits allocates
- Reed Smith LLP
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- USA
- -
- March 7 2012
The New Markets Tax Credit (“NMTC”) program is administered by Treasury Department’s Community Development Financial Institutions (“CDFI”) Fund
Indochina law quarterly
- Baker & McKenzie
- -
- Cambodia, Laos, Vietnam
- -
- February 29 2012
In this issue, you will find reports on a number of important legal and economic developments in Laos, Cambodia, and Vietnam from October to December 2011
Doing business in the Czech Republic
- Baker & McKenzie
- -
- Czech Republic
- -
- January 2 2012
Over the past 10 years, the Czech Republic has adopted new laws in virtually every area of regulation in the Czech legal system consistent with European standards as it prepared for accession to the European Union
Doing business in the Slovak Republic
- Baker & McKenzie
- -
- Slovakia
- -
- January 2 2012
Since gaining its independence in 1993, the Slovak Republic has adopted new laws at a rapid pace
China legal developments bulletin
- Baker & McKenzie
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- China, Costa Rica, United Kingdom
- -
- December 19 2011
The new China-UK double tax treaty has breathed new life into the UK’s status as an investment platform
Doing business in New Zealand
- Chapman Tripp
- -
- New Zealand
- -
- November 14 2011
This booklet is designed to provide the prospective investor with an introductory guide to the New Zealand legal framework as it applies to business
Increased foreign investment in United States requires review of the FIRPTA provisions
- Fox Rothschild LLP
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- USA
- -
- November 9 2011
Under 26 IRC 897, which was adopted into law as part of the Foreign Investment in Real Property Tax Act (“FIRPTA”) in 1980, gain realized by a foreign person with respect to the disposition of an interest in US real property (“USRPI”) is characterized as income effectively connected with the conduct of a U.S. trade or business and subjects the foreign person to U.S. income tax on the net income derived from such gain at normal U.S. income tax rates
Potential tax trap: real estate transfer taxes and entity acquisitions
- Vedder Price PC
- -
- USA
- -
- October 21 2011
State and local real estate transfer taxes can be a significant and sometimes overlooked cost in certain acquisition transactions
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