The Trade Reform Act of 1973: Hearings, 파트 6U.S. Government Printing Office, 1974 - 978페이지 |
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67개의 결과 중 1 - 5개
2333 페이지
... companies in 1972 / 1962 / 71-- 1439 Net tax before and after foreign tax credit in 3 major oil companies in 1970 --- 1440 U.S. companies heavily dependent on foreign sales and earnings__ . Overall , the public favors curtailment of ...
... companies in 1972 / 1962 / 71-- 1439 Net tax before and after foreign tax credit in 3 major oil companies in 1970 --- 1440 U.S. companies heavily dependent on foreign sales and earnings__ . Overall , the public favors curtailment of ...
2344 페이지
... without change to avoid penalizing American business by plac- ing it at a competitive disadvantage with respect to foreign companies in both foreign and domestic markets . 3. The authority for the President to extend most - 2344.
... without change to avoid penalizing American business by plac- ing it at a competitive disadvantage with respect to foreign companies in both foreign and domestic markets . 3. The authority for the President to extend most - 2344.
2345 페이지
... company's subsidiaries abroad in the form of intermediates and raw materials . Jobs for 1,200 U.S. production workers are provided by these foreign sales along with an additional 800 management positions in the United States , including ...
... company's subsidiaries abroad in the form of intermediates and raw materials . Jobs for 1,200 U.S. production workers are provided by these foreign sales along with an additional 800 management positions in the United States , including ...
2346 페이지
... companies . The competition we face is such that if we are restricted in our ability to make foreign investments , we foresee our competitors exploiting this situation to our very real detriment . For example , our studies indicate that ...
... companies . The competition we face is such that if we are restricted in our ability to make foreign investments , we foresee our competitors exploiting this situation to our very real detriment . For example , our studies indicate that ...
2347 페이지
... Companies . " While this would be a limited exception to the tax principle that unremitted earnings of foreign subsidiaries are not taxed currently , it does involve an unwarranted tax penalty . It impinges on the determinations by ...
... Companies . " While this would be a limited exception to the tax principle that unremitted earnings of foreign subsidiaries are not taxed currently , it does involve an unwarranted tax penalty . It impinges on the determinations by ...
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