Mixer company: Difference between revisions
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imported>Doug Williamson (Replaced 'overseas' with foreign) |
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An international holding company located in a country with an extensive double tax treaty network and minimal foreign exchange and | An international holding company located in a country with an extensive double tax treaty network and minimal foreign exchange and investment controls. | ||
Historically, the tax advantages of mixer companies included blending income streams from different tax jurisdictions, minimising the wastage of | Historically, the tax advantages of mixer companies included blending income streams from different tax jurisdictions, minimising the wastage of foreign tax credits, and so minimising the total tax liabilities of the group of companies. | ||
== See also == | == See also == |
Revision as of 09:03, 5 August 2015
An international holding company located in a country with an extensive double tax treaty network and minimal foreign exchange and investment controls.
Historically, the tax advantages of mixer companies included blending income streams from different tax jurisdictions, minimising the wastage of foreign tax credits, and so minimising the total tax liabilities of the group of companies.