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EU Countries Clash Over Digital Tax Structure


European Union member nations are still split over key details underpinning its proposed tax on large internet companies like Alphabet Inc.'s Google and Facebook Inc. EU presidency holder Austria had hoped to smooth some disagreements in a July 18 meeting, laying out specific topics to be discussed such as the rate and scope of the tax and definitions needed to administer it. But even after eight hours of technical discussions, members remained divided over several elements.

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Economist Cautions on Use of Risk in Setting Intercompany Profits


It's time to question the use of "risk" as away to allocate profit among corporate entities for transfer pricing purposes, said Roberto Schatan, a senior economist at the IMF in the tax policy division.

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Business Groups Seek Plan B Instead of End to Dutch Dividend Tax


Dutch tax advisers and leading business lobbyists are calling on the government to consider alternatives to their plan to abolish the country's dividendwithholding tax.

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Spain Seeks 'Tax Justice' From Large Companies


Spain's Socialist Prime Minister Pedro Sanchez has laid out a tax policy July 17 that cracks down on corporations' use of deductionswhich allow them to enjoy lower tax rates.

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Tax Authorities Finding Errors With Companies' Global Tax Data


The IRS and tax authorities around theworld are grapplingwith how to use and analyze multinational companies' global tax reports, especially thosewith imperfections in their data, an IRS official said.

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TCJA's Impact on Intangible Valuation Is Uncertain


Beyond the direct effects on intangible valuation mandated by the Tax Cuts and Jobs Act, the new law may affect how projected cash flows and discount rates should be determinedwhen valuing intangible transfers.

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BEPS Has Not Caused Mutual Agreement Procedure Overload


Despite practitionerwarnings, the OECD's base erosion and profit-shifting project has not spurred a flood of mutual agreement procedure cases, according to an IRS official.

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Narrower OECD Profit-Split Guidance Is a Result of U.S. Efforts


Although some countrieswill inevitably apply the OECD's final profit-split method guidance more aggressively than intended, the actual language adopted byworking Party 6 reflects a successful U.S. effort to limit the method's scope.

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Italy's New Capital Tax Regime for Nonresident Companies


In this article, the author discusses measures in Italy's 2018 Budget Law that could result in a higher capital gains tax burden on foreign companies disposing of shares in Italian entities and that may, in practice, conflictwith EU law. He offers suggestions to companies affected by the change, noting issues they should take into considerationwhen planning for and calculating Italian taxes.

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The OECD-Led International Compliance Assurance Programme: A Game Changer?


In this article, the author discusses the background, significance, and potential implications of the International Compliance Assurance Programme, a pilot initiative recently launched under the auspices of the OECD.

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Arm's-Length Standard Is Flexible Enough for Digital Economy


The digitalization of the economy may create challenges in applying traditional transfer pricing methods, but the arm's-length standard is still a better approach than formulary apportionment, according to an IRS official.

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U.K. Government Cites More Companies in Scope of 'Google Tax'


The U.K. has targeted more global businesses that risk facing its "Google tax," signaling the possible impact of the government increasing its resources to enforce the controversial measure.

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Is Bavaria's Corporate Tax Credit Plan a Pipe Dream?


A unique corporate tax cutting scheme proposed by the German state of Bavaria could make the country more attractive to international business in light of a global race to alleviate the tax burden on corporations.

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EU Waiting on U.S. Tax Law Changes Before Launching Complaint


European lawmakers' threats to challenge the new U.S. tax law at theworld Trade Organization are still pending as they determinewhether the U.S. Treasury Departmentwill address their concerns.

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The Debate Over How to Report the Repatriation Tax


U.S. companies are expected to pay billions in federal taxes to bring back cash they've built up overseas over the last three decades. But investors might not know it by reading their financial statements. Analysts told Bloomberg Tax that the ambiguity startswithwhere in their annual or quarterly reports companies are reporting the repatriation tax.

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U.K. Lawmakers to Scope Out Domestic Impact of U.S. Tax Reform


U.K. lawmakers are planning to assess the impact of the new U.S. tax law on British companies, further underlining thewide-reaching effects of the country's sweeping reforms on global businesses.

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Irish Plan for Government Tax Panel Raises Skepticism


A proposal in Ireland to creating a panel to examine how companies abuse tax rules is unnecessary and could cause uncertainty for businesses, practitioners told Bloomberg Tax. Instead, the government should focus on furthering its commitments to the OECD's base erosion and profit shifting project, they said.

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Austria ramps up push for EU-wide digital tax on Big Tech


Austria is stepping up plans for an EU-wide digital tax on big tech companies such as Apple and Google, despite opposition fromwithin the bloc.

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U.S. Government Revenues Drop in Wake of Tax Cuts


Corporations taking advantage of new, lower tax rates reduced their payments to the federal government last month. The Treasury Department on Thursday said government receipts fell 7% in June comparedwith the same month a year earlier, including a 33% drop in gross corporate taxes.

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Wells Fargo's $481 Million Tax Surprise


Wells Fargo & Co. said Friday itwas hit in the second quarterwith a $481 million tax expense related to a legal decision.whatwas behind that? Turns out itwas the recent U.S. Supreme Court ruling affecting online retailers,which is also reaching out to hit non-retailers aswell.

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OECD Further Consults on Offshore Indirect Transfers Toolkit

  • By Tax Analysts

The OECD has invited final comments on a revised draft toolkit designed to assist developing countrieswith the tax treatment of offshore indirect transfers of assets; submissions are due September 24.

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U.S. Tax Review (9)


In this article, the authors discuss recent U.S. international tax developments, including guidance on late-filing penalties and the OECD's voluntary International Compliance Assurance Programme.

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TCJA Won't Make Transfer Pricing Irrelevant Abroad


The Tax Cuts and Jobs Act's steep corporate rate reduction may lower the stakes of future U.S. transfer pricing disputes, but itwon't affect the growing international trend toward aggressive transfer pricing enforcement.

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Governments Experimenting With Uses for CbC Data


Governments are keeping their plans regarding the use of country-by-country reports close to the vestwhile they experimentwith the data, according to an IRS official.

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Parlez-Vous Wayfair? Foreign Lessons on Taxing Remote Sales


In this article the author analyses the Supreme Court's landmark decision inwayfair, and its implications for foreign businesses that sell goods to U.S. consumers.

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Spanish Cabinet Approves MLI


Spain's Council of Ministers on July 13 approved the OECD Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI), according to information published by the Spanish government.

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TCJA Will Deplete Multinational Tax Revenue Abroad, IMF Says


The U.S. corporate tax cutwill reduce tax revenue from multinationals by modest percentages under existing global policies, the IMF says, but if countries respondwith policy changes, the loss could be much greater.

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U.S. Must Step Up Action on Beneficial Ownership, OECD Says


The United States must do more to ensure that the availability of beneficial ownership information fully conforms to new international standards, the OECD's transparency body said in a recent report.

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Transition Tax Regs Nearing Finish Line


One day after an official denied that the Office of Management and Budget received for review guidance implementing the Tax Cuts and Jobs Act from Treasury, OMB is acknowledging receipt of transition tax regs.

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From Switzerland with Love: Surreys Papers and the Original Intent(s) of Subpart-F


For the first time since 1913, and as part of the 2017 tax reform, Congress adopted a tax regime that exempted from U.S. taxation dividends from foreign subsidiaries. By doing so, Congress abandoned the general principle that U.S. residents should be subject to tax on all income "fromwhatever source derived." This shift marked a good occasion for considering the reasons the United States taxed such dividends in the first place. In 1962, Congress enacted a new law, also known as 'Subpart-F',which subjected certain earnings of foreign subsidiaries of American parent corporations tocurrent-base taxation. Thiswas a deviation from the general tax principle of tax deferral, underwhich earnings of foreign subsidiaries are taxed only upon repatriation of these earnings (by a dividend, for example). The new legislationwas the result of a political compromise.while Treasury supported awide-scale elimination of tax deferral, Congress eventually adopted a much narrower law, eliminating tax deferral only in caseswhere itwas abused by using it to avoid otherwise owed U.S. taxes.

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U.S., U.K. to Discuss Trade Deal as Trump Backtracks on Brexit


President Trump and Prime Minister Theresa May have agreed to pursue a free trade agreement, hours after the U.K. government defended its Brexit plans following comments Trump made in a newspaper interview.

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Hong Kong Government Publishes Approved BEPS Bill


The Hong Kong government has published the adopted version of a bill implementing OECD base erosion and profit-shifting standards, including an amended treasury center regime and new transfer pricing, profit attribution, and country-by-country reporting rules.

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News Analysis: OECD Profit-Split Guidance Falls Short

  • By Nana Ama Sarfo

Over the years, tax stakeholders have repeatedly told the OECD that the transactional profit-split transfer pricing method should be used only in cases inwhich it is clearly appropriate, and should not be treated as a default.

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News Analysis: Digital Optimism


Although discussions about how best to tax the digital economy are often so polarized that it sometimes seems difficult to imagine reasonable and consensus-based solutions, signs of progress are beginning to emerge.

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News Analysis: U.S. TCJA Regulations Update


In this article, the author discusses the situation of the guidance and regulations required to apply the provisions on TCJA.

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Tax Loophole From 1960s Could Let Wealthy Tap 21% Corporate Rate


An obscure taxprovisionfrom the 1960s thatwas left untouched by President Donald Trump's overhaul could letwealthy individual investors seize for themselves the largest corporate tax cut in U.S. history.

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U.K. Committee Finds Some U.S. Support for More Transparency


There is some support in the United States for increased tax transparency but little appetite for multilateral initiatives, according to a U.K. House of Commons Public Accounts Committee (PAC) report.

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EESC Approves Critical Opinion of EU Digital Tax Proposals


The European Economic and Social Committee (EESC) approved an opinion criticizing the European Commission's digital taxation proposals for threatening smaller EU countries' tax bases and undermining consensus reached during the base erosion and profit-shifting project.

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No Agreement Expected on VAT Reverse-Charge Mechanism


European finance ministers meeting in Brussels July 13 are expected to once again talk about ÔøΩ but not agree on ÔøΩ the VAT reverse-charge mechanism.

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BEPS, ATAP and the New Tax Dialogue: A Transatlantic Competition? (1)


The Tax Cuts and Jobs Act (TRA17) signed into law by President Trump on 22 December 2017 contains multiple provisions that incorporate the principles of the OECD/G20 Base Erosion and Profit Shifting (BEPS) into domestic US tax law. Togetherwith the changes in the 2016 US Model Tax Treaty, these provisions mean that the United States is following the European Union in implementing BEPS.This represents a triumph for the G20/OECD and is incongruentwith the generally held view that the United Stateswill never adopt BEPS.

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GOP runs into Trump tax law in New Jersey


Democrats in New Jersey are hoping that President Trump's tax-cut law provides themwith a boost in the midterm elections.

The law caps the state and local tax (SALT) deduction at $10,000, a change that hurts people in high-tax states such as New Jersey,which has the highest property taxes of any state.

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San Francisco Fed economists: GOP tax law will boost economy less than expected


Two economists at the San Francisco branch of the Federal Reservewrote Tuesday that the Republican tax cut signed into law in Decemberwill likely have less of an effect on the economy than forecasters previously thought ÔøΩ and possibly none at all.

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Wayfair: Foreign-based companies at risk of US state taxes


Foreign companies need to examine the potential consequences of the USwayfair case as states consider hunting for more tax dollars abroad, say tax advisers.

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The "Harry Kane theory of value" and the flaws in the EU's digital tax plans


Value creation iswhere the problems beginwith digital tax. How can you decidewhere the value is created by the England captain'sworld Cup strip? Michael Devereux exploreswhether it is Russia, England or Bangladesh.

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CBOs GILTI Capital-Shifting Prediction Overblown, Panelists Say

  • By Moroses Dylan F.

Anti-base-erosion provisions in the Tax Cuts and Jobs Act offer few incentives for businesses to locate investment overseas, according to research touted by a panel that counters recent criticism of the law.

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Final U.S. Inversion Regs Stick to Previous Policy


Final anti-inversion regs make some modifications to proposed rules, but the IRS is not backing away from most of its earlier guidance, including its controversial serial acquisition rule,which derailed the largest inversion ever.

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US companies' share buyback plans smash record


Stock buyback announcements by US companies smashed records in the second quarter, feeding the debate over how boardrooms are spending theirwindfall from the Republican tax cuts President Donald Trump signed into law in December.

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Final Corporate Inversion Rules Largely Intact from Obama Era


The Trump administration has left Obama-era corporate inversion rules mostly intact, despite business hopes that theywould be eased or revoked.

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WTO Likely to Spurn Claim U.S. Global Tax Provisions Go Together


The authors of the 2017 U.S. tax legislation may have intended the international provisions to allwork as pieces of awholeÔøΩbut that's probably not the interpretation theworld Trade Organizationwould take, legal and trade experts said.

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G-7 Nations May Want to Copy U.S. Tax Cut, U.K. Official Hints


A senior U.K. official has suggested that some of theworld's largest economies could follow the U.S.'s move to slash its corporate tax rate, highlighting the effect of the country's sweeping reforms. "Countrieswill most reflect on the U.S. tax rate cut, particularly thosewith rates distinctly above 26 percent," Mikewilliams, the U.K. Treasury's director for international and business tax, said at a July 9 conference in London.

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