Showing 6761 - 6770 of 7976 for "Private equity" with applied filters
24 April 2020 by Matouk Bassiouny in association with AIH law firm
The Novel Coronavirus (COVID-19) Guidance Document SUDAN
24 April 2020 by Matouk Bassiouny & Hennawy
The Novel Coronavirus (COVID-19) Guidance Document EGYPT
24 April 2020 by Matouk Bassiouny in association with SH-Avocats
COVID-19 Outbreak and Preventive Measures in Algeria
12 April 2020 by Helmy Hamza & Partners
Helmy, Hamza & Partners, member firm of Baker & McKenzie International, recently advised Arab Company for Projects and Urban Developments S.A.E., a subsidiary of Talaat Moustafa Group Holding, on the issuance of a sukuk program with a value of EGP 2 billion with final maturity at the end of 2024.
06 April 2020 by Mijares Angoitia Cortés & Fuentes
1 Mijares, Angoitia, Cortes y Fuentes announces new partner and of counsel appointments
03 April 2020 by Rossana Chu, Jacky Chan
An overview on private mergers and acquisitions in Hong Kong
03 April 2020 by EY Law
EY Law advises important infrastructure projects in Guatemala
01 April 2020 by Dominik Hohler and Stéphanie Oneyser
First measures ordered by the Swiss Government
26 March 2020 by CERHA HEMPEL Dezsö & Partners
Zita Albert joins CERHA HEMPEL’s Budapest office as M&A Partner
16 March 2020 by Cliffe Dekker Hofmeyr
In essence, real estate investment trusts (REITs) are treated as conduits through which the income they derive, flows to their shareholders. The main advantage of a REIT is therefore that a deduction of the distribution made by the REIT to its shareholders may be claimed against its income provided that it is a qualifying distribution. By nature, REITs distribute most of their income to their shareholders and will usually pay little or no income tax on the distributions, instead shareholders will be liable to pay income tax on the distributions received from REITs. REITs are, however, taxed on the taxable income they retain at the standard corporate tax rate.
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