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Global Tax Report
December 2006
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IFLR1000 2007 Rankings
October 11, 2006
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New P.R.C.-Hong Kong Double Taxation Arrangement Offers Planning Opportunities for Intellectual Property
September 14, 2006,
Tax Notes International
Patrick W. Ma
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Stock Options Task Force Brochure
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Legal 500 UK 2006 Rankings
September, 2006
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Backdating
August 31,2006,
New York Law Journal
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Amendments to the Definition of Plan Assets
August 7, 2006
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Alert: Pension Protection Act Passed
August 4, 2006
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Landmark China—Japan APA Marks Beginning of New Era for Transfer Pricing Management in China
July/August 2006,
China Tax Intelligence
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White & Case Boosts Leading Positions in Chambers USA 2006
June 5, 2006
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Practical Strategies for Funding a Child's Education
June 2006,
Estate Planning
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Minimizing Tax
May 2006,
Moscow Times Real Estate Quarterly
Irina Dmitrieva
Tax structuring the sale or purchase of a real estate investment project typically focuses on a project company, which implements the investment project, and on this company's assets, including a land plot (either owned or rented) and a building (either completed or under construction). The project company may be a Russian legal entity or a foreign company with a branch office in Russia; its shareholders may be Russian or foreign companies or individuals. Depending on the stage of the project, the project company may have already entered into lease agreements and have started to generate rental income. Usually, the project company will be significantly leveraged and will have significant input VAT accumulated from construction costs.
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The Federally Authorized Tax Practitioner Privilege: What Remains Under §7525?
May 22, 2006,
BNA's Tax Management Weekly Report
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Financial Products Report
May 2006,
Derivatives - Financial Products Report
Geoffrey B. Lanning
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Germany and France Make Good Progress in Key European Guidebook
May 5, 2006,
Legal 500 EMEA
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Bank Levies: Proper Compliance Prevents Hefty Penalties
April 28, 2006,
This alert also appears in Financial Services Advisory Update, Vol. 3, No. 3.
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Actions to Take in 2006 and Beyond in Response to New IRS Rules on Deferred Compensation
Winter 2006,
Bloomberg Corporate Law Journal
Mark T. Hamilton
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Special Update on Tax Legislation
January 2006
Igor Ostapets, Irina Dmitrieva
In this Special Update we outline the most important amendments to the Tax Code which either became effective as of 1 January 2006 or will come into force in the near future.
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