Use of Section 936 Funds for Loans in the Caribbean Region: Hearing Before the Subcommittee on Oversight of the Committee on Ways and Means, House of Representatives, One Hundred First Congress, Second Session, April 3, 1990, 4±ÇU.S. Government Printing Office, 1990 - 237ÆäÀÌÁö |
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... creating jobs . This is a praiseworthy objective . As a matter of fact , it is an objective shared by every State and local government in the United States . However , the State and local gov- ernments cannot offer the benefits of ...
... creating jobs . This is a praiseworthy objective . As a matter of fact , it is an objective shared by every State and local government in the United States . However , the State and local gov- ernments cannot offer the benefits of ...
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... created a public corporation called the Caribbean Basin Financing Authority which will make 936 / CBI loans and provide guarantees for such loans . The future success of the 936 / CBI program may depend on the Caribbean Basin Financing ...
... created a public corporation called the Caribbean Basin Financing Authority which will make 936 / CBI loans and provide guarantees for such loans . The future success of the 936 / CBI program may depend on the Caribbean Basin Financing ...
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... creating opportunities in Puerto Rico on condition that recipients utilize their own funds to invest in supplementary manufacturing facilities in Caribbean Basin Initiative beneficiary nations . Already we have received a commitment ...
... creating opportunities in Puerto Rico on condition that recipients utilize their own funds to invest in supplementary manufacturing facilities in Caribbean Basin Initiative beneficiary nations . Already we have received a commitment ...
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... created by No matter what Section 936 be removed as quickly as possible . tax incentives we offer , Section 936 companies will not make long - term commitments to Puerto Rico or ancillary investments in the Caribbean Basin Initiative ...
... created by No matter what Section 936 be removed as quickly as possible . tax incentives we offer , Section 936 companies will not make long - term commitments to Puerto Rico or ancillary investments in the Caribbean Basin Initiative ...
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... created , and the particular Caribbean Basin Initiative country in which new investments would be made . Eight companies have given commitments to par- ticipate , but are not yet in a position to disclose such specific information about ...
... created , and the particular Caribbean Basin Initiative country in which new investments would be made . Eight companies have given commitments to par- ticipate , but are not yet in a position to disclose such specific information about ...
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936 corporations 936 program active business assets Air Jamaica ALVAREZ amended ANTHONY approved AT&T Barbados borrower BT Securities Caribbean Basin Initiative Caribbean countries Caribbean region CBI investments CBI loans CBI projects Chairman PICKLE COLORADO Commissioner of Financial commitment committee Commonwealth of Puerto CONGRESS THE LIBRARY cost disbursed Dominican Republic economic development Eligible Activities Eligible Funds employment federal financial institutions financial intermediaries Fomento foreign GIDEON going Government Development Bank government of Puerto Grenada guarantee GUARINI incentive income information exchange agreements infrastructure interest rate investors involved issue J. J. Pickle lending LIBRARY OF CONGRESS limited manufacturing ment million no-objection letter NORDBERG percent private sector proposed Puerto Rico question RAFAEL HERNANDEZ COLON RANGEL regulatory requirements Rico's risk SCHULZE Secretary section 936 funds Sosa tax exemption tax information exchange temporary regulations testimony Thank TIEA tion transaction Treasury Department United WADSWORTH wage credit
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106 ÆäÀÌÁö - INCOME. (a) GENERAL RULE. — In the case of an individual who has received earned income before the beginning of the taxable year, there shall be allowed as a credit against the tax imposed by this chapter for the taxable year an amount equal to the...
198 ÆäÀÌÁö - Basin countries designated as its beneficiaries (Antigua and Barbuda, Aruba, Bahamas, Barbados. Belize, British Virgin Islands, Costa Rica, Dominica, Dominican Republic, El Salvador, Grenada. Guatemala, Guyana, Haiti, Honduras, Jamaica, Montserrat, Netherlands Antilles, Nicaragua, Panama, St.
36 ÆäÀÌÁö - Except as provided in this subsection, the term "section 38 property" means — (A) tangible personal property, or (B) other tangible property (not including a building and its structural components) but only if such property — (i) is used as an integral part of manufacturing, production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services, or...
106 ÆäÀÌÁö - Qualified possession source investment income. — The term "qualified possession source investment income" means gross income which— (A) is from sources within a possession of the United States in which a trade or business is actively conducted, and (B) the taxpayer establishes to the satisfaction of the Secretary is attributable to the investment in such possession (for use therein) of funds derived from the active conduct of a trade or business in such possession, or from such investment, less...
174 ÆäÀÌÁö - I want to thank you, Mr. Chairman, and members of the committee, for giving me the opportunity to testify on its behalf.
2 ÆäÀÌÁö - Oversight, committee on Ways and Means, US House of Representatives, announced today that the Subcommittee will...
5 ÆäÀÌÁö - Mr. SCHULZE. Thank you, Mr. Chairman. I am pleased to join you in opening our hearing on the use of section 936 funds in the Caribbean region.
106 ÆäÀÌÁö - ... there shall be allowed as a credit against the tax imposed by this chapter an amount equal to the portion of the tax which is attributable to the sum of— "(A) the taxable income, from sources without the United States, from — "(i) the active conduct of a trade or business within a possession of the United States...
6 ÆäÀÌÁö - STATEMENT OF HON. KENNETH W. GIDEON, ASSISTANT SECRETARY FOR TAX POLICY, US DEPARTMENT OF THE TREASURY Mr. GIDEON. Thank you, Mr. Chairman, and members of the committee.
3 ÆäÀÌÁö - ... submitting the statement, as well as any clients or persons, or any organization for whom the witness appears or for whom the statement is submitted. 4. A supplemental sheet must accompany each statement listing the name, full address, a telephone number where the witness or the designated representative ma> be reached and a topical outline or summary of the comments and recommendations in the full statement.