Overview
After nearly a decade of being put on hold, several members of the Senate Foreign Relations Committee have recently indicated that the first US-Chile Income Tax Treaty may be approved. The treaty would be welcome news to many companies and individuals doing business or investing in Chile or the US, or considering potential cross-border investments.
In this presentation, we will cover (1) a brief discussion of recent Chilean law developments, (2) a detailed analysis of the US-Chile Income Tax Treaty, and (3) future planning under the new treaty and modifications to current structures and positions. The discussion will focus on various articles of the treaty, including the limitation on benefits article, residency article, permanent establishment article, interest, dividends and royalties articles.
We hope you can join us for this forward-looking discussion.
If you are unable to attend in-person, please register to listen to the live webcast.
For more information, please contact Anastasiia Hurtova.
CLE and CPE credit is pending. A uniform Certificate of Attendance will be made available to participants.
Space is limited. Please be advised that McDermott reserves the right to restrict attendance and may limit participation in this event.
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