Sedwick's blog is required reading for authors
considering foreign sales, movie rights, or a traditional publishing deal.
Not exact matches
Consider the way one
foreign customer helped Fourgen limit the royalty tax on its
sales to Singapore.
This discussion also does not
consider any specific facts or circumstances that may be relevant to holders subject to special rules under the U.S. federal income tax laws, including, without limitation, certain former citizens or long - term residents of the United States, partnerships or other pass - through entities, real estate investment trusts, regulated investment companies, «controlled
foreign corporations,» «passive
foreign investment companies,» corporations that accumulate earnings to avoid U.S. federal income tax, banks, financial institutions, investment funds, insurance companies, brokers, dealers or traders in securities, commodities or currencies, tax - exempt organizations, tax - qualified retirement plans, persons subject to the alternative minimum tax, persons that own, or have owned, actually or constructively, more than 5 % of our common stock and persons holding our common stock as part of a hedging or conversion transaction or straddle, or a constructive
sale, or other risk reduction strategy.
Mark Williams from the International Indie Author Facebook Group has mentioned
considering opportunities in translation for
foreign sales of audiobooks (ACX has this capability, as does Ubook (Mark states they operate out of Brazil and offer audiobooks in Portuguese and Spanish).
Another useful foundation for a contract - oriented LRW problem is the United Nations Convention on Contracts for the International
Sale of Goods («CISG»).130 The United States is a signatory to the CISG which is intended to provide a structure for international contract similar to that offered by the Commercial Code and UCC case law is relevant to interpretation of CISG cases.131
Foreign case law is also considered instructive though not binding, 132 allowing an LRW problem to easily incorporate an international convention, foreign law, and domestic law in one fact scena
Foreign case law is also
considered instructive though not binding, 132 allowing an LRW problem to easily incorporate an international convention,
foreign law, and domestic law in one fact scena
foreign law, and domestic law in one fact scenario.133
Similarly, U.S. target companies must be aware that their
sale to a
foreign buyer may be put at risk if they do not
consider the appropriate CFIUS - risk measures.
COMMENTS: SBA 7 (a) & 504, flexible portfolio U / W, hard to place CRE & 1 - 4, will
consider short
sales, foreclosures & modifications, competitive rates and fees,
foreign nationals accepted, no limit on properties owned (1 - 4), title can be held in an entity (Trust, Corp., LLC, Part.)
Because it could prove difficult to take legal action against a
foreign buyer — who may be out of the country or difficult to contact — sellers should
consider asking for a sizable down payment or «good faith money deposit» to guarantee the
sale.