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Int'l Tax News

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Should Ireland Have Taxed Apple?

  • By Reuven S. Avi-Yonah and Nessa Ní Chasaide

Reuven S. Avi-Yonah and Nessa Ní Chasaide argue that the EU's Court of Justice was misguided in the recent Apple ruling, which raises significant issues relating to the legal governance of corporate tax.

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Trump Win Casts Shadow Over OECD Global Tax Reforms

  • By Stephanie Soong and Andrew Velarde

A second Trump administration, a Republican-controlled Senate, and recent actions by Republican lawmakers are likely signs that implementing the OECD’s two-pillar global tax reform plan is about to become much more challenging, observers say.

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Mexico Signals It Could Hit Back at U.S. With Tariffs of Its Own

  • By Simon Romero and Emiliano Rodríguez Mega

Could a tariff war erupt between the United States and Mexico? A top Mexican official said his country might retaliate if the Trump administration placed steep tariffs on Mexico.

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Hoekstra Ready to Consider Digital Taxation if Pillar 1 Fails

  • By Elodie Lamer and Sophie Petitjean

Wopke Hoekstra, EU commissioner-designate for taxation, said the bloc will have to reconsider digital taxation if an international solution to issues blocking pillar 1 can't be found in the wake of President-elect Donald Trump's reelection.

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EU Braces for Trump 2.0

  • By Elodie Lamer and Sophie Petitjean

The EU is better prepared to respond to President-elect Donald Trump’s tax and tariff threats than it was in 2016, but the bloc is still bracing for four challenging years.

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Original Sin: Cost Sharing in the United States

  • By Elizabeth J. Stevens and H. David Rosenbloom

Elizabeth J. Stevens and H. David Rosenbloom provide an overview of how U.S. tax policy enabled multinational enterprises to use cost-sharing arrangements to their disproportionate gain, with still-reverberating consequences for global tax policy.

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Kenya Resubmits Bill for Digital Tax Repeal, Global Minimum Tax

  • By Stephanie Soong

The Kenyan government has reintroduced draft legislation in Parliament that would repeal the country’s digital services tax in favor of a significant economic presence tax and implement global minimum tax rules.

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Rotten to the Core: The EU's Court of Justice Decision in Apple

  • By Ruth Mason and Stephen Daly

Ruth Mason and Stephen Daly take an in-depth look at the Apple state aid case at the EU’s Court of Justice, pointing out how it is deeply flawed and explaining the role Irish and U.S. tax law combined to play in facilitating Apple’s tax planning.

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Course-Correcting on International Tax in the Next Administration

  • By Mindy Herzfeld

Mindy Herzfeld examines how each presidential candidate might steer international tax policy.

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IRS Official Previews End-of-Year PTEP Reg Package

  • By Amanda Athanasiou

An IRS official has expanded on what to expect, and what not to expect, from a long-awaited package of rules concerning previously taxed earnings and profits expected by the end of December.

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Puerto Rico Will Not Override Tax Decrees With Pillar 2

  • By Sarah Paez

The Puerto Rican government does not plan to enact pillar 2 global minimum tax legislation that would void the constitutionally protected tax agreements that it has with multinational enterprise groups, according to an official.

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Wopke Hoekstra: A Wild Card in the EU Tax Arena

  • By Olaf Geurts

Wopke Hoekstra, commissioner-designate for climate, net zero, and clean growth, will be the EU’s next tax figurehead, but observers are scratching their heads over his agenda because taxation hasn't been uppermost in his political career.

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EU Commission Fully Supports Permanent Pillar 2 Safe Harbor

  • By Stephanie Soong

A permanent safe harbor under the OECD global minimum tax rules makes sense, and the European Commission is hopeful that it will be finalized soon, a top tax official said.

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DSTs Could Violate Tax Treaty Obligations, U.N. Official Says

  • By Kiarra M. Strocko

A U.N. official has expressed concern regarding the global shift toward implementing digital services taxes, asserting that they violate countries’ treaty obligations because they are essentially income taxes.

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MNE Groups Could Benefit From MAP Expansion, IRS Official Says

  • By Kiarra M. Strocko

Current treaty provisions limiting access to mutual agreement procedures to resident taxpayers should be expanded to consider requests by companies under controlled foreign corporation regimes or subject to upcoming pillar 2 rules, an IRS official said.

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Frustration Persists in OECD Framework Over Pillar 1

  • By Stephanie Soong

Although the co-chair of the OECD inclusive framework on base erosion and profit shifting remains hopeful for a final pillar 1 tax agreement, its members are disappointed that it hasn’t happened yet.

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Treasury Initiates Tax Agreement Negotiations With Taiwan

  • By Michael Smith and Cady Stanton

Treasury is taking the reins on creating a comprehensive tax agreement with Taiwan after the House and Senate started legislative efforts to relieve double taxation.

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EU Proposes DAC9 to Govern Pillar 2 Information Exchange

  • By Sarah Paez

A new EU legislative proposal would create a framework to exchange pillar 2 information from multinational entities among member states and with non-EU jurisdictions.

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New U.N. Model Tax Treaty Article Is a Win for Developing Countries

  • By Stephanie Soong

A newly approved article amending rules on cross-border fees on services in the U.N. model tax convention will be good for developing countries, but its controversial nature may hinder its implementation, a tax professor said.

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South African Tax Chief Warns Taxing Right Fight Will Intensify

  • By Kiarra M. Strocko and Stephanie Soong

Fair tax policies must take into account the increasingly contentious battle for taxing rights in the digital economy and the growing momentum of a U.N. tax convention, South African Revenue Service Commissioner Edward Kieswetter said.

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U.N. International Tax Cooperation: The Terms of References Final Draft

  • By Leopoldo Parada

Leopoldo Parada explains the development of an international forum for the creation of a more inclusive international tax regime; he focuses on developments at the U.N. and relates them to OECD developments in this area.

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Trump Flirts With the Ultimate Tax Cut: No Income Taxes at All

  • By Andrew Duehren

The former president has repeatedly praised a period in American history when there was no income tax, and the country relied on tariffs to fund the government.

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French Lawmakers to Consider Digital Tax Increase Proposals

  • By Stephanie Soong

The French National Assembly will soon discuss proposed amendments to the 2025 draft finance bill, which would increase France’s controversial digital services tax by at least 2 percentage points to raise much-needed revenue.

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Global Implementation of Pillar 2 Is Top Priority, Hoekstra Says

  • By Elodie Lamer and Stephanie Soong

Wopke Hoekstra, EU commissioner-designate for taxation, told members of the European Parliament that while nearly all multinational enterprises will pay the global minimum tax under pillar 2 by 2025, the system is still at risk.

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OECD Global Tax Rules to Cover 90% of Companies by 2025

  • By Shaun Courtney

An estimated 90% of large multinational companies in scope of OECD rules will be subject to the minimum tax regime in 2025, the organization told G-20 ministers in a Thursday report.

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European Parliament Members Have Carbon Tax Demands for COP29

  • By Amanda Athanasiou

An environmental committee of the European Parliament has adopted a set of demands for the upcoming U.N. Climate Change Conference that call on the European Commission to push for carbon pricing outside the bloc.

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Tariffs: Back to the Future

  • By Doron Narotzki

Doron Narotzki explores the resurgence of high tariffs in U.S. trade policy, beginning with the Trump administration and continuing into the Biden administration, that were initially intended to protect domestic industries and reduce trade deficits, but have instead led to increased consumer prices, strained diplomatic relationships, and harmed global trade dynamics.

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Untangling Corporate AMT Regs, Loper Bright's Ongoing Effect, and Stock Buyback Regs

  • By Larissa Neumann, Julia Ushakova-Stein, and Mike Knobler

Larissa Neumann, Julia Ushakova-Stein, and Mike Knobler review the extensive proposed corporate AMT regs, explain the ongoing effect of Loper Bright, review comments on stock buyback regs, and offer updates on the Treasury Inspector General for Tax Administration’s economic substance doctrine report, taxpayers’ compliance assurance process eligibility, and IRS advice on foreign-derived intangible income and 245A dividends received deductions.

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What Authority for Proposed Dual Consolidated Loss Rules?

  • By Lee A. Sheppard

Lee A. Sheppard examines the recently released dual consolidated loss proposed regulations.

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Proposed CAMT Regs Raise Questions About Viability of Minimum Tax Regimes

  • By Mindy Herzfeld

Mindy Herzfeld examines the increasing complexities that multinational corporate taxpayers face in light of the recently released proposed corporate alternative minimum tax regulations, including the significant differences between accounting and income tax treatment of income.

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Pillar 1 Is a ‘Rough Proxy,’ EU Competition Commissioner Says

  • By Elodie Lamer

Margrethe Vestager, executive vice president of the European Commission and commissioner for competition, told members of the European Parliament that the global community should keep working on pillar 1 and on an alternative.

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Where Is China Now on Pillar 2?

  • By Reuven S. Avi-Yonah

Reuven S. Avi-Yonah explains the relationships between Chinese tax policy, pillar 2, and global multinational enterprises.

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U.S. Business Group’s Belgian UTPR Challenge Gains Traction

  • By Stephanie Soong

American groups and lawmakers are rallying behind a legal challenge filed in Belgium’s Constitutional Court against the undertaxed profits rule, but it could be a while before a decision is rendered — and success isn’t guaranteed.

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FDI vs. Double Taxation: Promoting Taiwan’s Investment in the U.S.

  • By Paul Poliakov

Paul Poliakov explains how resolving double taxation and other inefficiencies of the U.S. domestic law regime for taxing foreign corporations could improve Taiwan-U.S. business relations.

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Don't ‘B’ Left Behind: How Companies Need to Prepare for Amount B

  • By Kartikeya Singh, Anthony Tufo, Shubhana Sattar, and Marco Fiaccadori

Kartikeya Singh, Anthony Tufo, Shubhana Sattar, and Marco Fiaccadori explain the OECD inclusive framework’s amount B and the large effect it is likely to have on transfer pricing. They analyze the ways in which multinational enterprises can prepare for the various iterations that could arise as jurisdictions choose how to react to amount B.

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Competent Authority Resolutions and the Creation of BEAT Liability

  • By David Farhat, Mayowa Olujohungbe, and Bryan McGrane

David Farhat, Mayowa Olujohungbe, and Bryan McGrane explain why tax authorities can and should expediently address base erosion and antiabuse tax liability that may arise from taxpayers’ use of the advance pricing and mutual agreement program.

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Ireland Proposes Amount B and Global Minimum Tax Amendments

  • By Stephanie Soong

The Irish Department of Finance has issued draft legislation calling for amendments to existing laws to implement the OECD amount B political commitment and incorporate further global anti-base-erosion administrative guidance.

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Final IP Repatriation Regs Closely Follow Proposed Rules

  • By Andrew Velarde

Final rules on the termination of income inclusions for repatriated intangible property track closely to proposed regs, with the drafters declining significant expansion over administrability and scope concerns and refusing to make the rules retroactive.

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Australian CbC Reporting: The True Cost of Unprincipled Transparency

  • By Anne Gordon

Anne Gordon explains why overzealous reporting legislation will negatively affect Australia’s international business relationships.

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Treatment of U.S. Multinational IP Transfers in a Pillar 2 World

  • By Jason Yen and Bona Chung

Jason Yen and Bona Chung provide examples that highlight the complexities of analyzing IP transactions under pillar 2 and explore questions that require further guidance.

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India Mulling Ways to Adopt 15% Global Minimum Tax

  • By Shefali Anand

India continues to deliberate on adopting the OECD’s 15% global minimum tax—also known as Pillar Two, a senior tax official said Thursday.

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Cruise Lines Seek Carve-Out for OECD's Global Minimum Tax

  • By Lauren Vella

The OECD should allow a carve-out in the global minimum tax rules for mobile, tangible assets like ships and airplanes, according to an industry group representing cruise lines.

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Portugal seeks to become low-tax haven for young people

  • By Barney Jopson and Sérgio Aníbal

Portugal is planning to turn itself into a low-tax haven for young adults by offering a decade of tax breaks to people starting their careers in an effort to halt a growing brain drain.

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Donald Trump pledges to end double taxation for expat Americans

  • By Ilya Gridneff

Donald Trump has said he will end “double taxation” for millions of Americans living overseas if he wins the US presidential election next month.

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Loper Bright Blocks Payment Loss Rules, Business Groups Assert

  • By Andrew Velarde

Business groups and associations have responded forcefully in comments criticizing Treasury’s disregarded payment loss regs, arguing that the government lacks authority to issue the rules, as the Supreme Court made clear in Loper Bright.

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Swiss Government Opposes New Taxes on Financial Transactions

  • By Jan Stojaspal

The Swiss government expressed resistance to using financial transaction taxes to finance the country’s old age pension system.

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Surprise CAMT Rules on Foreign-Parented Groups Are About Parity

  • By Andrew Velarde

Proposed corporate alternative minimum tax regs’ provisions pertaining to foreign-parented multinational groups, which have caught some tax experts by surprise, were drafted to ensure parity between foreign and domestic entities, according to Treasury.

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Will the CJEU Go Easy on Ikea?

  • By Robert Goulder

Robert Goulder comments on the European Commission’s reinvigorated state aid case against the Netherlands and Ikea.

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EU’s Highest Court Tells U.S. Taxpayers to Pay for a New Marshall Plan

  • By Mindy Herzfeld

Mindy Herzfeld examines the saga of European state aid cases and the costs of the Court of Justice’s recent decision in European Commission v. Ireland for the U.S. government — and its taxpayers.

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Legal Service Advises Withdrawal of EU Transfer Pricing Proposal

  • By Elodie Lamer

The EU Council legal service recently warned member states that the draft transfer pricing directive is getting in the way of an agreement on a nonbinding joint transfer pricing forum.

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