Canadian persons and entities owning a significant interest in a U.S. corporation or U.S. entity classified as a “disregarded entity” for U.S. federal income tax purposes should ensure they are compliant with IRS Form 5472 filing requirements to avoid substantial U.S. federal income tax penalties. IRS Form 5472, “Information Return of a 25% Foreign-Owned U.S....
Cross-Border Counselor is a collection of articles and timely updates about U.S. law issues of concern to Canadian companies that have assets, do business, raise funds or are listed for trading in the United States, as well as the attorneys, accountants and banks that advise them. Learn more about Dorsey’s Canada cross-border practice group here.
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Aaron is a Partner in Dorsey’s Labor & Employment group, where he brin...
Kendall’s practice focuses on U.S. federal tax issues related to dome...
Marina is a Partner in Dorsey’s Labor & Employment group. Ha...
Jenna assists employers in drafting, implementing, and administe...
As an international business attorney, Larry helps clients navigate com...
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