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  2. Blocker corporation - Wikipedia

    en.wikipedia.org/wiki/Blocker_corporation

    To address these issues, a private equity fund can set up a U.S. feeder corporation known as a blocker corporation. The foreign and tax exempt investors can invest through the blocker corporation, and then they are no longer personally considered to be partners, as it is the domestic corporation that is the owner of equity in the fund.

  3. C corporation - Wikipedia

    en.wikipedia.org/wiki/C_corporation

    A C corporation is distinguished from an S corporation, which generally is not taxed separately. Many companies, including most major corporations, are treated as C corporations for U.S. federal income tax purposes. C corporations and S corporations both enjoy limited liability, but only C corporations are subject to corporate income taxation. [1]

  4. Dummy corporation - Wikipedia

    en.wikipedia.org/wiki/Dummy_corporation

    Fraudsters may set up dummy corporations to create the illusion they are an existing corporation with a similar name. Similar to the "pump and dump" scheme, Fraudsters mislead investors in order to sell securities in the dummy corporation, in this case, making investors incorrectly believe "that they are buying shares in the real corporation ...

  5. Rollovers as business start-ups - Wikipedia

    en.wikipedia.org/wiki/Rollovers_as_Business...

    A C corporation must be set up in order to roll the 401(k) withdrawal. [ 1 ] Promoters and facilitators, such as Roth IRA brokers of self-directed IRA LLCs, or small business financing , market IRS ROBS arrangements to prospective entrepreneurs and business owners for funding for a business as small business financing.

  6. What Investors Need to Know about C Corporation Dividends - AOL

    www.aol.com/investors-know-c-corporation...

    Dividends paid by C corporations will be reported to shareholders using Form 1099-DIV. The C corporation will also send a copy of the form listing dividends to the IRS and other income tax ...

  7. Entity classification election - Wikipedia

    en.wikipedia.org/wiki/Entity_classification_election

    In what is sometimes known as a "domestic reverse hybrid" strategy, a non-US corporation may set up a US holding company which elects to be treated as a corporation for US tax purposes, but which its home country tax law sees as a flow-through entity. The US holding company receives a loan from its home country parent which it invests in a US ...

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