The precise shape of the structure to be pursued by a U.S. active investor - branch, subsidiary, etc. - in a foreign country depends largely on the tax treatment of the host country and U.S. laws. In many cases:
A) no taxes will be owed.
B) remittances from branches are taxed at a higher rate than dividends from a subsidiary.
C) profits are taxed at a lower rate due to depreciation schedules of certain countries.
D) none of the above.
Question 2
The right of privacy consists of:
A) the right to be secure against unreasonable searches by the government only.
B) the right to protection against intrusions by others only.
C) both the right to be secure against unreasonable searches by the government and the right to protection against intrusions by others.
D) the right to be secure against warrantless searches only.