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Business Lobby Slams EU Plan to Stop Letterbox Tax Avoidance


The leading European Union business lobby group is accusing the European Commission of adopting a "guilty until proven innocent" approachwhen it comes to anti-tax abuse provisions in pending legislation designed to stop letterbox companies.

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Australian Tax Office to Fight BHP Tax Case Win


The Australian tax authority is preparing for a public court battle May 31,when itwill appeal a tax court's decision that favored global mining giant BHP Billiton Ltd. in a dispute over profit attribution under controlled foreign company rules.

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Australia 'Not Afraid' to Hit Digital Giants With New Tax


Concerns are being raised that the Australian government's decision to go it alone and impose a new tax on multinational digital companies preempts multilateral efforts and could have adverse consequences.

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EU Approves Rules to Force Advisers to Report Abusive Tax Schemes


European Union finance ministers have formally approved controversial rules thatwill require accountants, bankers, lawyers, and other tax professionals to report certain aggressive tax planning arrangements to national revenue authorities.

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EU's U.K. Tax Probe May Hit Unprecedented Number of Companies


The European Commission's probe into a U.K. tax scheme may hit an unprecedented number of companies for its investigations on governments' specialized treatment of global businesses.

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Sweden Plans New Tax Liability for Foreign Companies


Foreign employees of non-resident companieswill be tax-liable regardless of the length of time they stay in the country, according to a draft proposal detailed by Sweden's Finance Ministry May 17. If, as expected, the proposal become law, foreign companies employingworkers in Swedenwill be required to deduct tax from salaries even if the company doesn't have a permanent establishment in the country.

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Setback on Google Ads May Cost Israel Millions in VAT Refunds


The Israel Tax Authority stands to refund millions of shekels in VAT after two Israeli publishers successfully appealed the authority's decision to apply VAT to online advertising space used by Google.

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Why Rush of Overseas Dealmaking Is Risky for U.S. Companies


Global corporate deal making is on fire. The danger is that a lot of value ends up getting burned. This year so far has seen an explosion of bidding activity and U.S. companies pursuing record volumes of deals at home and even more so overseas.

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Global dividends grow on back of US corporate strength


Global dividends grew by more than 10 percent in the first quarter of 2018, boosted by favourable exchange rates and as US companies started to pay outwindfalls from President Donald Trump's tax reforms.

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Brazil's Congress Approves Tax Incentives for Technology Sector


Brazil's Senate has completed congressional approval of key legislation that expands thewindow periodÔøΩto 48 months from three monthsÔøΩduringwhich information technology and communications companies can receive tax incentives.

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Amazon Web Services' VAT Policy in Israel Sets Global Precedent


Amazonweb Services' decision to start collecting and remitting value-added tax in Israel through a local subsidiary could change theway multinational companies conduct business. It could also eventually satisfy the Israel Tax Authority's aim of collecting VAT and income tax from all foreign digital companies selling products and services in the country.

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EU to Cut Two Countries From Tax Haven Blacklist


European Union finance ministerswill shrink the bloc's tax haven blacklist to seven countries from nine on May 25 by removing the Bahamas and Saint Kitts and Nevis. The change comes after both Caribbean island countries made commitments to conformwith EU transparency and fair corporate taxation criteria.

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Four Countries Amend 'Harmful' Tax Regimes: OECD


Chile, Malaysia, Turkey, and Uruguay abolished or amended tax regimes after theywere found to violate international measures that aim to counter base erosion and profit shifting, the OECD announced.

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Draft Rules to Tighten Tax Law for Australia's Stapled Structures


Australiawants comments on draft rules to tighten tax laws applying to foreign investorswho use an arrangement, called stapled structures, to convert trading income into more favorably taxed passive income.

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Chile: Music Downloads Should Be Taxed, But Who Should Pay?


Music or books downloaded from the internet are subject to taxation, Chile's tax authority ruled, but it hasn't decidedwho should pay.

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Apple to Fight EU Irish Tax Case Without U.S. Support Role


The U.S. lost a bid to help Apple Inc.'s court fight against the European Union's order to pay Ireland a record 13 billion euros ($15.3 billion) in unpaid taxes.

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Germany's Pursuit of Tax Evaders With Airbnb May Spread in Europe


German tax officialswant Airbnb Inc. to surrender all data on its German users to track down tax evaders, and have asked Irish authorities to help, a spokesperson from the Berlin Administration of Finance told Bloomberg Tax.

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S. 2826 Would Establish Tax on Income From China

  • By Tax Analysts

Excerpts are available of S. 2826, the Fair Tradewith China Enforcement Act, introduced by Sen. Marco Rubio, R-Fla.,whichwould eliminate the reducedwithholding rates for Chinese residents and impose a surtax on specific income from China, among other things.

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The Stages of International Tax Reform


Since December 2017, tax conferences in the United States have focused substantially on the H.R. 1 tax reform legislation. No surprise there ÔøΩ the 2017 changes are among the most significant in the past thirty years. But over the past five months, through attending numerous tax conferences featuring international tax practitioners, I've observed some interesting developments in the nature of the discussions and debates at these conferences. These changes are pretty revealing about the process of absorbing the true impact of the new tax law, particularly in international tax. Thisweekend's ABA May Tax Section Meeting inwashington, D.C. highlighted some of these trends.

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U.N. Releases Updated Model Tax Convention


The U.N. published on May 18 its updated model tax treaty,which features new provisions covering fees for technical services and entitlement to treaty benefits.

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Tax Cuts Chaos, Part III: Can Treasury Fix It?


The code changes made by the Tax Cuts and Jobs Act (P.L. 115-97) havewreaked havoc on international rules, creating taxpayer uncertainty in how to apply the law and headaches for the government in how towrite interpretive rules. Much of the complexity comes from a single source: the delineation of global intangible low-taxed income as a separate basket under section 904(d). That construct brings expense allocation rules into play, potentially restricting U.S. multinationals' ability to claim foreign tax credits on GILTI in unexpectedways.

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Small Caps Set New Highs, Outpacing Their Multinational Peers


Shares of small U.S. companies climbed to a fresh recordwednesday, reflecting their gains in the recent tax overhaul and signs that U.S. growth once again looks more robust than that from overseas.

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Big tech ploughs money into capex and buybacks


Large US technology companies are investing far more in their businesses as a percentage of revenues than many non-tech peers in spite of spending billions of dollars on share buybacks at the same time. US companies are expected by analysts at JPMorgan to buy back about $800bn of their stock this year,with corporate coffers boosted by corporate tax reform.

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Netflix Loses Tax Case Appeal at European Union's Top Court


The European Union's top court has cleared theway for new taxes on cross-border broadcasting services, rejecting an appeal against the move from theworld's largest online television network.

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China Allows Multinationals to Self-Assess for Preferential Rate


Chinawill allow multinationals to self-assesswhether they are eligible for preferential tax rates offered to industries the governmentwants to promote, a move tax professionals in China cautiouslywelcomed, since it alsowon't protect taxpayers from future tax probes.

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U.K. Nets 60 Percent More From 'Google Tax' Charges on Companies


The U.K. government's receipts from "Google tax" charges on global businesses have increased 60 percent, a signal the measure may beat its original forecasts for a second straight year. The U.K. government's diverted profits tax, or DPT, forms part of its attempts to combatwhat it perceives as abusive cross-border tax planning from global companies.

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U.S. on Course to Land on European Tax Blacklist: EU Official


If the U.S. doesn't agree by June 2019 to exchange the bank account details of non-U.S. citizenswith governments around theworld, itwill be placed on the European Union's tax haven blacklist.

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US companies begin to reduce bond holdings after tax overhaul


US companies' pile of bond investments is shrinking as they prepare to radically change theway they spend their excess cash.

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U.S. Will Defend Tax Law Before OECD Inquiry: Treasury Official


The Organization for Economic Cooperation and Developmentwill scrutinize part of the new U.S. tax law, specifically the FDII provisions, in the fall to see if it violates international standards, a U.S. Treasury official said. The U.S.will defend the law, Doug Poms, international tax counsel at the U.S. Treasury Department, said May 11.

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EU Sees $23.5 Billion in Revenue from Financial-Transaction Tax


A proposed tax on financial transactions in 10 European Union countries could generate about 19.6 billion euros ($23.5 billion) of annual revenue, though Brexit could make collection more difficult, according to a new estimate.

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EU OK's Company Transparency Rules After Nearly Two Years


The European Union's tightened company ownership transparency rules crossed the final legislative threshold May 14when EU member states backed the measures. Therules, among theworld's toughest, are meant to expose shell companies used for tax evasion and money laundering.

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More Tech Investments to Qualify for Tax Break After Brazil Decree


An expansion of a Brazilian tax incentive program for information technology and communications firms has passed its first congressional hurdle. Under the government's program, companies are exempted from paying Brazil's PIS and Cofins social contribution taxes and excise taxes on their investments in research, development, and innovation. To qualify, companies must demonstrate they are investing at least 5 percent of their gross revenues in these areas.

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Consolidated Group Questions More Pressing for 'GILTI' Than 'BEAT'


Practitioners are eagerly awaiting guidance from Treasury specifying how new international tax provisionswill apply in the context of consolidated groups, but some provisions are piquing more interest than others.

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OECD Mulls Two New Intercompany Pricing Projects: Official


Two critical chapters of the OECD's transfer pricing guidelines are ripe for revision, an OECD official said. The OECD announced May 9 it is considering starting two new projects to revise the guidance in Chapter IV of the guidelines on administrative approaches to resolving transfer pricing disputes, and Chapter VII on pricing intra-group services.

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Australia Explains Tax Cost Reset for Consolidated Subsidiaries


Tax guidance from the Australian tax office could trigger a structural review of foreign parent companies' Australia-based subsidiaries, if these had been consolidated for tax purposes. In May 9 draft guidance, the Australian Tax Office set out details of the circumstances underwhich a foreign entityÔøΩwhich has joined a consolidated groupÔøΩwon't have its tax costs reset.

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EU Nearing Agreement on New VAT System


The European Union moved closer to agreement on provisions for a new destination-based VAT system after a contentious element of the planwas dropped. EU presidency holder Bulgaria dropped the controversial "certified taxable person" provision from the four pending "quick fix" provisions proposed in October 2017, according to a confidential EU document seen by Bloomberg Tax. The provisionwould allow qualified companies to continue using the current value-added tax scheme that relies on reverse charging for cross-border sales.

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'GILTI' Worries: Four Industries Facing Tax Base Erosion Provision


Four industriesÔøΩtechnology, pharmaceutical, manufacturing, and banking and financial servicesÔøΩare among those that could lose foreign credits and other tax benefits under a new tax on income from intangible assets, like patents and trademarks, and other kinds of assets overseas.

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GILTI State Tax Issues


States normally excuse corporate income taxes on foreign income. Mechanically, these exclusions usually involve a special state-level dividends received deduction for foreign dividends and deemed dividends. So states that startwith federal taxable incomewill first include GILTI in the state tax base, then apply their DRD for foreign dividends to GILTI. State DRDs generally do apply to federal deemed dividends. But a state DRD may not cover 100 percent of the dividend; often there is a sliding scale based on proportionate ownership.

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Creating Value: Taxing Video Game Companies


Digital-economy companies affected by international tax reform are not limited to thewell-known GAFA (Google, Amazon, Facebook, Apple) tech giants. Video game companies share many characteristicswith GAFA companies andwill be similarly affected by tax reform.

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IRS Wary of TCJA-Motivated Changes to Transfer Pricing Practices


Taxpayers that reverse their established transfer pricing positions inways that favorably affect their liability under the Tax Cuts and Jobs Act's base erosion and antiabuse taxwill likely face heightened IRS suspicion.

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24 Years Later - China Finally Centralizes Its Tax Administration


In this article, the authors explain the Chinese government's unexpected decision to centralize China's tax administration and merge the central and provincial tax authorities into a single body by the end of this year.

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OECD Invites Comments on Transfer Pricing Guideline Revisions

  • By Tax Analysts

The OECD has invited public comments on revisions to its transfer pricing guidelines regarding special considerations for intragroup services and administrative approaches to preventing and resolving transfer pricing disputes; submissions are due June 20.

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TCJA Is Missed Opportunity, Experts Say


The Tax Cuts and Jobs Actwon't meaningfully reduce base erosion or profit shifting, but it does encourage the offshoring of economic activity and real assets, according to some experts.

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Reassessing the Beloved Double Irish Structure in Light of GILTI


In this article, the authors discuss the new global intangible low-taxed income provisions of the Tax Cuts and Jobs Act and reassess the double Irish structure andwhether it continues to deliver tax savings.

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Tax Reform Could Boost Sub-Sahara Revenue by 5% of GDP, IMF Says


Sub-Saharan African countries could increase tax revenue by an average of 5 percent of gross domestic product -- much more thanwhat they receive in international aid -- if they reform their tax policies, the International Monetary Fund said.

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Here's How U.S. Tax Reform Shook Up U.K. Companies' M&A Deals


When he signed sweeping U.S. tax changes into law six months ago, President Trump probably didn't expect to bolster U.K. companies' takeover transactions. That, however, is exactlywhat happened. The 2017 U.S. tax act has become a factor in the U.K.'s largest hostile takeover for a decade.

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U.K. Opens Fewer Transfer Pricing Probes Into British Companies


The U.K. government's tax investigations of the intra-group transactions of local multinational companies has fallen 31 percent, signaling a growing focus on more complex cases.

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India High Court Shifts Vodafone Tax Spat to International Panel


An Indian high court has opened the door for Vodafone to dispute a $1.8 billion tax bill before an international tribunalÔøΩa move thatwill test India's domestic tax laws against bilateral investment treaties.

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Bulgaria Aims to End EU Deadlock on Tax Haven Sanctions


Controlled foreign company rules and restrictions on tax exemptions top the list of sanctions the European Union should impose on black-listed tax havens, according to confidential documents seen by Bloomberg Tax. Drawn up by EU presidency holder Bulgaria, the new sanctions proposal is an effort to bridge divisions among EU member nations on how strict the "defensive measures" imposed on the tax havens should be.

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Australia Boosts R&D Credit for Large Firms in Innovation Push


Australian Federal Treasurer Scott Morrison announced May 8 a sweeping reform of the research and development tax incentive, part of a push to spur large companies to invest in R&D.

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