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Hints as Final Debt-Equity Regs Reach Final Review Stage
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Friends Without Benefits? Treasury and EU State Aid
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News Analysis: U.S. Creditability of Foreign Oil and Gas Taxes
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News Analysis: Are Patent Boxes State Aid?
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Ruling U.K. Party Commits to Corporate Tax Rate Cut, Brexit Plan
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German Finance Committee proposes additional BEPS-related and other tax rules
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Analysis of tax developments worldwide - October 2016 edition
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EU extends Gibraltar State aid investigation to include rulings
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IRS May Tweak Proposed Debt-Equity Regs for Consolidated Groups
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Apple, Irish to Claim EU Switched Gears on Transfer Pricing
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Earnings-Stripping Rules Consistent With New Global Tax Norms
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Cash-Pooling Concerns Under Microscope in Debt-Equity Rules
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U.S. Official: EU Aid Cases Could Undermine Bilateral Tax Deals
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News Analysis: Notes From the Tax Wars
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EU State Aid Decisions Defy Transfer Pricing Analysis, U.S. Says
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News Analysis: The EU's Other Smoking Gun
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News Release: 367 Fortune 500 Companies Collectively Maintain 10,366 Tax Haven Subsidiaries
In 2015, more than 73 percent of Fortune 500 companies maintained subsidiaries in offshore tax havens, according to "Offshore Shell Games," released today by the U.S. PIRG Education Fund, Citizens for Tax Justice and the Institute on Taxation and Economic Policy. Collectively, multinationals reported booking $2.5 trillion offshore,with just 30 companies accounting for 66 percent of this total. By indefinitely stashing profits in offshore tax havens, corporations are avoiding up to $717.8 billion in U.S. taxes.
For the CTJ report, go here.
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Repatriating Profits Won't Create Jobs
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The top US tax controversies in 2016
There have been a number of significant developments in the area of US tax controversies during 2016. Fenwick &west highlight some of the top US tax cases from this year, including several large § 482 transfer pricing cases that could provide helpful insight for taxpayerswho may be facing similar significant transfer pricing adjustments.
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Some Financial Products May Get Relief in Debt-Equity Rules
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U.S. Overseas Earnings Rise as Companies Defer Taxes
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OECD's Inclusive Framework Isn't Talk Show': Saint-Amans
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Brady, Neal Highlight Another Reason for Pro-Growth Tax Reform
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Private Equity and Venture Capital Funds Wary of BEPS Action 6
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U.K. Opposition Party Leader Pledges Corporate Tax Increase
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Russia Issues 2 CFC Guidance Letters
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Taiwan to introduce VAT for online retailers
Taiwan is to become the latest country to levy VAT on online foreign retailers, following similar OECD-inspired laws introduced by the EU and countries including Japan, Russia, South Korea, Australia and New Zealand. Foreign businesses may have only three months to prepare for the changes.
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APA signings in India cross the '100-mark'
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Brokering The Brawl When EU Commission Tax Rulings Become State Aid
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Future of Foreign Import Tax Bill Murky as Controversy Grows
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Role of G-20 in Tax Policy Here to Stay:' Treasury Official
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U.K. Defends Work Helping Developing Nations Adapt to New Tax Standards
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How the EU Anti-Tax Avoidance Directive could impact industrial products and services companies investing in Europe
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Apple Tax Decision Based in Economic Reality: EU Official
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BEPS impact: Indian companies tweak tax planning approach
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A value added tax is not a trade barrier
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U.S. Failure to Commit to Information Exchange a Problem'
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State Aid Debate, EU Anti-Tax-Avoidance Package Create Legal Uncertainty
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Practitioners Seek Guidance From OECD on Concept of Income Tax
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McDonald's State Aid Investigation: What the European Commission Got Wrong
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Luxembourg Government proposes new country-by-country reporting obligations
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Proposed 2017 Dutch tax package provisions would affect multinationals
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Tracking People Will Be Key to CbC Reporting, Tax Executives Say
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U.S. Bill Proposes Making Global Tax Reports Public
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News Analysis: Treasury Offers Few Assurances on Proposed Debt-Equity Regs
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Pascrell Border Tax Proposal Targets Indirect Tax Systems
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International Risks Remain Top Priority for Audit Regulator
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Final Report on OECD Action 14 Coming Soon, Official Says
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Tracking People Will Be Key to CbC Reporting, Tax Executives Say (1)
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Remarks by U.S. Treasury Secretary Lew at Meeting with Argentine Finance Minister Prat-Gay