The Chamberlain Hrdlicka Business and International Tax Blog provides updates, developments, and insights on business and international tax.
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In an article published on Dec. 04, 2018, in Tax Analysts, Jerry August provides comments on planning strategies for U.S. companies engaging in real estate and licensing transactions overseas. Jerry says, “Real estate deals are often heavily leveraged, so it’s common to see a special purpose vehicle (SPV) formed to borrow money. That SPV is owned by a joint venture with the U.S. taxpayer, either as a general partner or a limited partner, as well as partners from other countries.”
Subscribers to Tax Notes may view the full article here.