Spin-off does not trigger Brazilian CFC rules prior to 2001 when investment in foreign entity is transferred as part of transaction
The Administrative Tax Appeals Council (Conselho Administrativo de Recursos Fiscais, CARF) recently gave its decision in the case of Brasil Warrant Administracao de Bens e Empresas Ltda v. National Treasury (Administrative Proceedings No. 16327.000572/2005-69). The CARF ruled that the taxpayer's partial spin-off did not trigger the taxation of the profits accrued by its foreign subsidiary located …
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