Structuring of U.S. Investments (Inbound Advice)
Ogle International Tax Advisors
provide tailored inbound tax planning and compliance services to foreign companies and their U.S. subsidiaries. Our experienced international tax professionals assist clients in understanding and navigating through the complexities of U.S. tax laws impacting foreign-owned U.S. companies.
Understanding that the U.S. tax regime can negatively impact non-U.S. companies, our professionals offer cross border tax planning strategies to the U.S. subsidiary and its foreign parent corporation in order to minimize their global effective tax rate while fulfilling their business needs.
Our U.S. Inbound tax planning strategies focus on a number of factors that potentially impact U.S. investments, including;
» | | The tax rules of the foreign jurisdiction where the foreign corporation is located |
» | | The foreign corporation's other foreign investments and overall global tax position |
» | | The foreign corporation's legal entity structure |
» | | The need for a holding company |
» | | The current and expected profitability of the foreign corporation and their U.S. investments(s) |
» | | The cash flow requirements of the foreign corporation and their U.S. investment(s) (Repatriation Strategy) |
» | | Current and planned debt financing for the foreign corporation and their U.S. investment(s) |
» | | Activities, functions, and ownership risks of the U.S. investment (Transfer Pricing) |
In the area of tax compliance, our professionals can prepare all of the annual tax forms related to a foreign corporation’s U.S. investments permitting a seamless integration of tax planning and compliance functions with one advisory group.
For more information, please call us or download our Structuring of U.S. Investments brochure including a summary of the tax considerations relating to U.S. investments.