Courses 2016 - 2017
LAW T 515
International Taxation I
A detailed and thorough analysis of principles relating to "inbound" investment in the U.S., including concepts relating to effectively connected income (and other rules relating to source of income), issues raised by tax treaties such as what constitutes a "permanent establishment", the anti-treaty shopping rules, the branch profits tax (§884), withholding on receipts of nonresident aliens (including classification issues relating to nonresident alien status), and rules relating to taxation of foreign investment in U.S. real property.
Course Sections and Instructors
||Schedule - Days, Hour, Room)
||Sec SLN Type
A 17297 Tax
B 17298 JD
C 17299 LLM
Room assignments are not posted until 30 days before the start of the quarter and are subject to change without notice.
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