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Int'l Tax News

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Overseas Investors Demur on U.S. Private Markets in Light of Trump’s ‘Revenge Tax’

  • By Rod James

A portion of the ‘one, big, beautiful bill’ could lead to a new tax on foreigners’ U.S. investments in private equity and credit. Some of them are treading cautiously.

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Will OBBBA Reform Duty Drawbacks?

  • By Robert Goulder

Robert Goulder comments on the practice of duty drawbacks and a recent legislative proposal to limit their reach.

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This Loophole Buried in Trump’s Bill Is Anything but Beautiful

  • By Brad Setser

A loophole in Trump’s policy bill would continue to encourage offshoring.

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Senate GOP Opts for International Tax Regime Redesign

  • By Jonathan Curry

Senate Republicans unveiled a robust set of international corporate tax reforms in their version of the reconciliation tax bill, including adjustments to the House-passed version and a suite of new provisions.

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MEPs Sink Report on Development Financing Despite Tax Consensus

  • By Elodie Lamer

Members of the European Parliament rejected a report calling for a strong U.N. tax process in the context of the next international conference on financing development, though that specific provision was consensual.

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Countries Signal Tax Commitment Ahead of U.N. Finance Conference

  • By Sarah Paez

U.N. countries agreed to prioritize international tax cooperation ahead of a major development financing conference, with an emphasis on improving domestic resource mobilization for developing countries.

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The Silent Tax: A Study of Inflation’s Hidden Effects on Effective Taxation

  • By Oliver R. Hoor

 Oliver R. Hoor explains the relationship between taxation and inflation.

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New Own Resource Proposals Are Needed, EU Presidency Says

  • By Elodie Lamer

The EU Council's Polish presidency urged the European Commission to revise its plan to fund the bloc's budget after member states pushed back on the current package of proposed levies yet again.

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Human Bias, Fraud, and AI: Lessons From the Netherlands, Part 2

  • By Nina E. Olson

Nina E. Olson compares a Dutch program that used artificial intelligence to identify fraudulent child care subsidy claims to the IRS Criminal Investigation division’s questionable refund program and warns that trends in U.S. tax administration could lead to similar violations of taxpayer rights.

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Corporate Tax: Best Tool for Taxation’s Regulation Goal

  • By Reuven S. Avi-Yonah

Reuven S. Avi-Yonah explains the three primary goals of taxation — revenue, redistribution, and regulation — and shows how VAT, the individual tax, and the corporate tax each uniquely match one of the goals.

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TACO Trades and More Anomalies in the Big Tax Bill

  • By Mindy Herzfeld

Mindy Herzfeld examines some provisions of the One Big Beautiful Bill Act that could have adverse economic effects.

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EU Commission Seeks Input on Tax Breaks for Savings, Investments

  • By Elodie Lamer

The European Commission is asking for feedback on tax incentives and simple tax procedures for its upcoming recommendation on establishing savings and investment accounts to drive individual participation in capital markets.

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Irish Fiscal Watchdog: Government Pillar 2 Estimate Are Wrong

  • By Sarah Paez

 Irish government estimates that corporate tax revenue is likely to remain unchanged because of pillar 2 through 2026 are not credible and ignore evidence that revenue could increase, according to the country’s fiscal watchdog.

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Fragmented MLI Implementation: Why Substance Over Form Matters

  • By Katherin Díaz Velilla

Katherin Díaz Velilla explains why, despite inconsistent tax standards and policy implementation, there is a global trend toward greater substance requirements.

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Legal and Regulatory Implications of Agentic AI in tax Administration

  • By Pramod Kumar Siva

Pramod Kumar Siva explores the potential benefits and challenges of a greater role for AI in tax administration.

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CRS Summarizes Antidiscriminatory Tax Measures in H.R. 1

  • By Congressional Research Service

The Congressional Research Service in a June 9 report summarized provisions in the House-passed version of H.R. 1, the One Big Beautiful Bill Act, that would raise taxes on U.S.-sourced income of nonresident aliens from countries imposing allegedly discriminatory taxes such as digital services taxes and the OECD pillar 2 undertaxed profits rule.

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The House’s Policy Bill Would Lose Money. Could Trump’s Tariffs Replace It?

  • By Lydia DePillis, Christine Zhang

The short answer is probably not, according to multiple forecasters.

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Mauritius Plans to Introduce Pillar 2 Top-Up Tax

  • By Sarah Paez

Mauritius plans to introduce a qualified domestic minimum top-up tax on resident subsidiaries and holding companies of multinational enterprises that are resident in the country.

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Switzerland Adopts Plan to Exchange Crypto Info With 74 Partners

  • By Kiarra M. Strocko

Switzerland has approved a formal proposal to automatically exchange cryptoasset tax information with 74 partner jurisdictions, including the EU member states and most G20 countries, beginning in 2026.

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Audit, Assets, Appeal: China’s Evolving Tax Dispute Framework

  • By Abe Zhao

Abe Zhao examines trends in China’s evolving tax enforcement policies and offers practical insights for multinationals navigating increasingly sophisticated and assertive tax audits in China.

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House Budget Reconciliation Bill’s Revenge Tax

  • By Lee A. Sheppard

Lee A. Sheppard examines the potential effects of the the House budget reconciliation bill’s proposed section 899, which would increase taxes for residents of countries maintaining discriminatory taxes and modify the base erosion and antiabuse tax.

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EU Countries Still Want Consensus in U.N. Tax Process

  • By Sarah Paez

Although EU countries accept that decisions on a U.N. tax convention will happen by majority vote, they still feel the best way to guarantee success is through consensus, according to a Polish tax official.

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International Tax Buffeted by Congress, Pillar 2, and FTC Changes

  • By Larissa Neumann, William R. Skinner

Larissa Neumann and William R. Skinner review the One Big Beautiful Bill Act and the bill introduced by Senate Finance Committee member Thom Tillis, R-N.C. They also examine the IRS guidance memo on resource allocation for the advance pricing and mutual agreement program, developments with pillar 2, and the challenge to stock-based compensation in McKesson.

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Commission Doubles Down on High-Risk EU Tax Planing

  • By Elodie Lamer

The European Commission is still waiting on select countries to address or commit to countering aggressive tax planning, despite toned-down economic recommendations from member states earlier this year.

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Tax Bill’s ‘Revenge Tax’ May Run Afoul of Senate’s Byrd Rule

  • By Jonathan Curry

Several aspects of the section 899 retaliatory tax in the House-passed tax bill raise red flags that the provision violates Senate procedures, which could lead to the tax being severely constrained or scrapped altogether.

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EU Eyes Ambitious Dispute Resolution Mechanism Review

  • By Elodie Lamer, Sarah Paez

The European Commission is signaling a potentially more ambitious review of its 2017 dispute resolution mechanism directive, according to a top EU tax official.

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CBO: Trump’s Tariffs Raise Big Revenue, Hurt Growth

  • By Jonathan Curry

President Trump’s tariffs would raise $2.5 trillion in revenue over the next decade, but the cost to the economy would more than offset the total economic growth expected from the House bill’s tax cuts.

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U.S. Organizations Push Back Against Canada, U.K. DST Measures

  • By U.S. Chamber of Commerce, NFTC

Several U.S. industry organizations, including the U.S. Chamber of Commerce and the National Foreign Trade Council, issued a letter to the U.S. trade representative and the secretaries for the U.S. Treasury and the U.S. Department of Commerce calling on the government to push back against the discriminatory digital services tax measures from Canada and the United Kingdom, noting that the Canadian DST will cost the United States up to $2.3 billion annually.

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Donald Trump claims the UK’s Digital Services Tax overwhelmingly targets US tech giants. New data obtained by TaxWatch shows otherwise.

  • By Mike Lewis

The UK is weighing the future of its Digital Services Tax (DST), under pressure from US trade threats. From the White House to the tech sector, the DST has been described as a discriminatory ‘tariff’ almost entirely targeting large US internet companies. No-one seems to have asked whether that’s actually true. New data obtained by TaxWatch show that nearly 40 percent of the companies subject to the UK DST are not headquartered in the US at all, contrary to claims made by politicians and the tech industry itself.

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Faulkender Threatens OECD Over Pillar 2 Stance

  • By Alexander Rifaat

Treasury Deputy Secretary Michael Faulkender warned the OECD that the United States will retaliate if the group doesn’t accept several existing U.S. tax provisions as being compliant with a global minimum tax initiative.

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Bermuda Seeks Input on Proposed Corporate Income Tax Amendments


Bermuda has started a public consultation on draft technical amendments to its corporate income tax regime to bring it more in line with OECD pillar 2 global minimum tax rules and related administrative guidance.

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OECD Announces June 2025 Economic Outlook Report

  • By OECD

The OECD issued a release announcing that it has published its June 2025 economic outlook report, which analyzes the economic prospects of various member jurisdictions, noting that global economic growth is projected to slow down from 3.3 percent to 2.9 percent in 2025 and 2026 and that various factors could affect overall economies in the coming years, including inflation pressures, increased tariffs and high trade costs, high debt payments, and uncertain tax policies.

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Take 2: Evaluating the Revised Retaliatory Measure in the House Bill

  • By Danielle Rolfes, Alistair Pepper, Daniel Winnick, and Casey Caldwell

Danielle Rolfes, Alistair Pepper, Daniel Winnick, and Casey Caldwell analyze the revised versions of two proposed retaliatory tax measures, consolidated in proposed section 899, now before the Senate as part of the budget reconciliation package, assessing whether the more significant modifications to those now-combined proposals are consistent with Congress’s stated policy goals in responding to “unfair” taxes imposed by foreign countries.

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One Big (Not So) Beautiful Way to Discourage International Investment

  • By Mindy Herzfeld

Mindy Herzfeld examines the international tax provisions of the House reconciliation bill and considers how they could affect international investment in the United States.

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U.S. Retaliatory Taxes Would Be Bad for Business, Observers Warn


Renewed efforts to allow the United States to retaliate against countries with discriminatory taxes will affect most foreign direct investment in the United States and put American jobs at risk, stakeholders and observers warned.

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Trump Tariff Awakening: Ghana Must Jettison Preferential Trade Agreements

  • By Samuel Narh Dorhetso

Samuel Narh Dorhetso explores the effects of President Trump’s tariffs on Ghana and offers suggestions on how to move away from the vulnerability of preferential trade agreements.

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Treasury’s Position on Pillar 2 Could Lead to Improved Global Tax Policy

  • By Jefferson Vanderwolk

 In a letter to the editor, Jefferson VanderWolk explains why the U.S. position on pillar 2 could improve global tax policy.

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Medtronic II: Do the Transfer Pricing Regs Swallow Themselves

  • By Ryan Finley

Ryan Finley explains why, despite Medtronic’s claims to the contrary, the section 482 regulations do not swallow their own comparability methodological reliability standards.

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Germany Mulls Online Platform Tax to Combat ‘Clever Tax Avoidance’

  • By William Hoke

Germany’s government is preparing a legislative proposal to tax online platforms like Google and Facebook to counter what the country’s culture minister described as “clever . . . tax avoidance.”

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EU Aims to Harmonize Cross-Border Taxation for Innovation

  • By Sarah Paez

A new European Commission proposal wants to harmonize several aspects of employee taxation across borders for start-ups and businesses scaling up to encourage innovation.

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A New ‘Revenge Tax’ Aimed at Foreign Investors is Rattling Wall Street

  • By Richard Rubin, Chelsey Dulaney, Jack Pitcher

Provision could hike taxes on some foreign companies’ U.S. investments and reduce the appetite for U.S. assets.

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U.S. Companies Call on the EU to Find Swift Pillar 2 Resolution

  • By Elodie Lamer

The American Chamber of Commerce to the European Union has written to EU Tax Commissioner Wopke Hoekstra saying that uncertainties regarding the EU’s pillar 2 directive and its interaction with the U.S. tax system must be resolved quickly.

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EU Countries Tighten Antiabuse Rules in CBAM Simplification

  • By Elodie Lamer

EU member states are ready to negotiate simplification of the carbon border adjustment mechanism with the European Parliament after tightening the regulation’s antiabuse measures.

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BEFIT Should Also Target Tech Giants, EP Rapporteur Says

  • By Sophie Petitjean

European Parliament rapporteur Evelyn Regner said the definition of a permanent establishment in the proposed Business in Europe: Framework for Income Taxation system should include companies that have a significant economic — if not physical — presence.

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U.S. Tariff Revolt – Emergence and Effects

  • By Parthasarathi Shome

Parthasarathi Shome explores the ramifications of the recent expanded use of tariffs by the United States.

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OECD Includes Amount B Information in Transfer Pricing Profiles

  • By OECD

The OECD has released several new and updated transfer pricing country profiles containing information about their positions on the optional amount B simplified and streamlined approach to pricing baseline and marketing distribution transactions.

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The Art of the (Trade) Deal

  • By Robert Goulder

Robert Goulder comments on the recently announced United Kingdom-United States trade deal framework.

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Updating the U.S. Dual Consolidated Loss Rules After TCJA: A Revenue-Raising Proposal

  • By Wade Sutton

Wade Sutton proposes updating U.S. dual consolidated loss rules to reflect the post-2017 international taxation environment.

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New Zealand Withdraws Draft Digital Services Tax Legislation


The New Zealand government has pulled back proposed legislation that would have implemented a digital services tax, citing countries’ support of OECD work to address the tax challenges of the digital economy.

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Business Group Backs U.S. Position on OECD Global Minimum Tax


The tax committee of a U.S. business group told Treasury’s top OECD negotiator that it supports the government’s push to ensure that the U.S. tax system exists separately from the OECD's pillar 2 regime.

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