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Can the U.K. Digital Services Tax Address the Digital Economy?
By H.David Rosenbloom
the author discusses the United Kingdom's proposed digital services tax in the context of OECD and EU efforts to address the perceived tax problems arising from digitalization.
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New Incentives for U.S. Companies to Bring Intangible Property Home (1)
By H.David Rosenbloom
B. Anthony Billings, Kyungjin Kim and Santanu Mitra Teaser: The authors examine the GILTI and FDII provisions of the Tax Cuts and Jobs Act, aswell as the proposed regulations on GILTI and FDII, and explain how taxpayers can maximize their FDII deductions.
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China's Surprising Silence on Digital Taxation
By H.David Rosenbloom
China has not announced any plan to join the DST club, and it has not released any opinion on the digital tax debate. This article looks at China's digital economy, its developing tax system, and the powers shaping the digital tax debate to answer the reasons behind.
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How Imported Mismatch Payment Rules Can Create Double Taxation
By H.David Rosenbloom
Carrie Brandon Elliot describes how imported mismatch payment rules in the section 267A proposed regulations can disallow deductions for payments that are included in the U.S. tax base under GILTI or subpart F, possibly creating double taxation.
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CFC Shareholder Issue Lurks in Participation Exemption Regs
By H.David Rosenbloom
New temporary regulations relating to the dividends received deduction might have consequences under recent guidance on income inclusions for some controlled foreign corporation shareholders.
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Locating Sales: FDII Regs Address Questions OECD Workplan Must Answer
By H.David Rosenbloom
Mindy Herzfeld examines attempts to allocate more multinational profits to market jurisdictions, pointing out thatwhile the recently proposed U.S. regulations on FDIIwill have to split the pie only between foreign- and U.S.-generated income, the OECD's taskwill be much harder.
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The Grim Reaper of Treaties?
By H.David Rosenbloom
Lee A. Sheppard discusses pending tax treaties and protocols in the U.S. Senate and how the chamber might finally be taking action to ratify agreementswith Hungary, Switzerland, Luxembourg, and others.
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U.S. Carbon Tax Could Fit with WTO Obligations, Report Says
By H.David Rosenbloom
Lee A. Sheppard discusses pending tax treaties and protocols in the U.S. Senate and how the chamber might finally be taking action to ratify agreementswith Hungary, Switzerland, Luxembourg, and others.
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Poland Accepts Foreign Market Data, Rules Out Secret Comparables
By H.David Rosenbloom
At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.
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In Search of Legislative History
By H.David Rosenbloom
H. David Rosenbloom notes that a proposed elective exclusion of high-tax non-subpart F income from tested income contained in recent proposed regs has no statutory basis.
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Poland Accepts Foreign Market Data, Rules Out Secret Comparables (1)
At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.
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Poland Accepts Foreign Market Data, Rules Out Secret Comparables (2)
At least for purposes of enforcing pre-2019 law, Poland's tax administrationwill not refer to secret comparables or require that taxpayers use domestic transactions or companieswhen applying the selected transfer pricing method.
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The Impossible Documentation Requirements of the Proposed FDII Regulations
On March 5 the U.S. Treasury and the IRS issued proposed regulations under section 250 (REG-104464-18) that provide guidance for determining the amount of the deduction for foreign-derived intangible income. Importantly, the proposed regulations also identify the required documentation that taxpayers must have by the FDII filing date to secure their FDII deductions. For each sale of property and provision of service, documentation is required both as to the recipient as a foreign person and as to the foreign use of that property or service.
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Taxes Are Key to Emissions Reductions, Irish Climate Plan Says
Ireland vowed to reform environmental taxes as part of a sweeping new plan to arrest the damaging effects of greenhouse gas emissions, but stopped short of a unilateral commitment to carbon neutrality by 2050.
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U.S. Senate Calls for Alternatives to Tariffs
While discussing President Trump's trade policy agenda, U.S. Trade Representative Robert Lighthizerwas confronted about the administration's liberal use of tariffs,which he said areworth some economic discomfort in the United States.
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UK Dependencies to Reveal Company Ownership Amid Tax Haven Crackdown
The three British Crown Dependencies - Jersey, Guernsey and the Isle of Man - said onwednesday theywould move to reveal publicly the true ownership of firms based in their jurisdictions, a changewelcomed by anti-corruption campaigners.
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Dutch Government May Reconsider Corporate Tax Cut, Says PM
The Dutch government may reconsider plans to cut the country's corporate tax rate to 20.5 percent, Prime Minister Mark Rutte said on Tuesday.
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Closing Gaps In GILTI Opens Up Authority Questions
Recent rules on the international provisions of 2017's tax law attempt to resolve gaps and contradictions in the legislation's framework for global intangible low-taxed income ÔøΩ and in doing so, raise questions aboutwhether they exceed regulatory authority.
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Case study: Repsol's participation in ICAP
Rocio Bermudez, tax global practices & transfer pricing senior manager at Repsol, spoke to ITR about her company's participation in the first pilot of the International Compliance Assurance Programme.
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ABA Members Look for Changes to Proposed FDII, GILTI Regs
Eric Solomon of the American Bar Association Section of Taxation has submitted comments on proposed regulations (REG-104464-18) on the deduction for foreign-derived intangible income and global intangible low-taxed income, requesting reconsideration and clarification of several issues that include the exclusion for financial services income and the application of section 250 to partnerships and their partners.
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EU Countries Focused on Applying Carbon Tax to Aviation Sector Author: Teri Sprackland and Annagabriella Colon
Representatives from France, the EU institutions, the IMF, and the OECD joined EU Tax Commissioner Pierre Moscovici in calling for taxes on the aviation sector to help lower greenhouse gas emissions.
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Calif. Passes Limited TCJA Conformity, Funds EITC Expansion
Californiawill conform to some parts of the 2017 federal tax law and use the additional revenue to pay to expand the state earned income tax credit, under a bill approved Thursday by the full Legislature.
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Tax heads encourage more companies to use ICAP
Tax leaders from Barilla, Repsol and Shell have encouraged their contemporaries to sign up for the International Compliance Assurance Programme (ICAP), before thewindow to get involved closes later this month.
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Senate Foreign Relations to Act on Tax Treaties, Chairman Says
The Senate Foreign Relations Committeewill likely hold a hearing nextweek on bilateral tax treaties and act on them the followingweek, Chairman Jim Risch said June 12.
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Medtronic, IRS Head to Trial Again in 2020 Over $1.4B Dispute
Medtronic Plc is once again headed to trialwith the IRS in a $1.4 billion case over the value of intellectual property it transferred offshore.
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Indonesia Formulates Digital Tax Scheme for Tech Giants
The government is exploring mechanisms to calculate tax responsibilities of giant technology companies, such as Google and Facebook, according to Finance Minister Sri Mulyani Indrawati.
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India, U.S. May Win With Global Tax Rewrite, but It's Complicated
India, the U.S., and other countrieswith hundreds of millions of consumers and large import markets could rake in a bigger share of multinational tax revenue under a plan to change global tax rules.
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Canada 2019 Budget- Impact of Tax Measures on Multinational Corporations
Matias Milet and Roger Smith, of Osler, Hoskin & Harcourt LLP highlightwhy multinational corporations should be aware of the changes announced in Canada's 2019 Budget.
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New Zealand Pursuing Digital Tax Ahead of OECD's Plan
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Bigger OECD Tax-Risk Assessment Program May Be 'Challenging'
The logistics of an OECD pilot program designed to assess international tax risks of large multinational companies could be difficult to handle as it grows to include twice as many participants said Doug O'Donnell, commissioner of the Internal Revenue Service's Large Business and International Division.
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Dutch Lawmakers Want Review of Corporate Tax Regime
Dutch lawmakers are urging the government to direct a special committee to findways to ensure multinational companies pay their fair share of tax in the Netherlands.
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IMF Urges G-20 to Rein in Tax-Related Profit Shifting
The International Monetary Fund urgedworld leaders to reform international tax rules that allow companies to pay little or no tax by shifting their assets to low-tax jurisdictions.
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Automation and Data Analytics to Drive LB&I Audit Selection
Businesses use data analytics to target their online ads at likely customers. Now the IRS's Large Business and International Divisionwill use that tool to determinewhich large and complex corporate taxpayers to audit. Carina Federico and David Blair of Crowell & Moring explain how andwhy.
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New Indian Finance Minister Kicks Off Pre-Budget Meetings
Indian Finance Minister Nirmala Sitharaman heard from industry representativeswho are urging corporate tax reforms in the full fiscal 2019-2020 budget.
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India's Cabinet Ratifies OECD's Tax Super-Treaty
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New Zealand's New R&D Tax Incentive
The new R&D Tax Incentive is opening up opportunities for more businesses doing R&D in New Zealand. Anand Reddy, Jill Somerfield and Nadinewilliams of PwC New Zealand consider how to maximize the benefits for your business.
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U.S. Multinationals Get High-Tax Exclusion, Anti-Abuse Rules
U.S. multinationals got a mixed bag of IRS guidance today on new international measures under the 2017 tax overhaul that includes a much-requested exclusion under a new category of foreign income and proposed anti-abuse rules thatwould restrict tax deductions related to foreign-source dividends.
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Anti-Abuse Rules Limit Tax Deduction on Foreign-Source Dividends
New IRS anti-abuse regulations limit a tax break available under the 2017 tax law for certain dividends a U.S. company receives from a foreign company inwhich it owns shares. The IRS released the rules in temporary and final form June 14. The agency also released proposed regulations that cross-reference the temporary rules.
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Rules Guide Multinationals on 'GILTI' and Foreign Tax Credits
U.S. multinationals now have guidance on a 2017 tax law provision intended to ensure that companies pay at least a minimum amount of tax on overseas profits.
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10 EU Countries OK Financial Transaction Tax Revenue-Sharing Plan
Ten European Union countries have agreed on a revenue-sharing plan for the bloc's proposed financial transaction tax thatwould reimburse the administrative costs of countries that have small stock markets and few large companies.
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Tax Will Help Combat Income Inequality, EU Tax Chief Says
Pierre Moscovici, the EU's top tax official, said that tax policy is crucial in the European Commission's efforts to curb income inequity as it seeks to battle populism among its member countries.
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U.S. Wants to Stall Digital Tax, Hoping to Wear Down Allies
The Trump administration is deep in talkswith 129 other countries on implementing a new standard for taxing digital companies, including Alphabet Inc.'s Google, Facebook Inc. and Amazon.com Inc.ÔøΩbut its heart lies elsewhere in the discussions.
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Financial Transaction Tax May Help EU Fix Brexit Budget Shortfall
Germany and Francewill push European Union finance ministers June 14 to rally around a financial transaction tax that could help fill a potential EU Brexit budget hole.
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Dutch Lawmakers Accuse Snel of Backtracking on Tax Change Promise
Dutch opposition lawmakers lambasted a senior finance official for dialing down a motion aimed at ensuring that multinational corporations are taxed more fairly in the Netherlands.
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Altera, the Sequel - Jurisprudence Catches Up With BEPS
Robert Goulder critiques the Ninth Circuit's revised opinion in the Altera litigation,which breathes new life in the commensurate-with-income language of section 482.
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Netherlands Considers Amending Tax Consolidation Regime
Citing pressure from adverse EU case law, the Dutch government has opened a public consultation on amending or abolishing the country's tax consolidation regime to complywith the EU's freedom of establishment rules.
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Participation Exemption Antiabuse Rule May Spur Litigation
Treasury's new anti-abuse rule on the dividends received deduction that addresses a timing mismatch between the participation exemption regime and other international tax rules has teed itself up as a target of future taxpayer litigation.
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IRS's GILTI Partnership Pivot Could Mean Big Changes (1)
The IRS and Treasury's change of approach in newly proposed regs navigating partnerships under the global intangible low-taxed income provision could result in significantly less income inclusions for some taxpayers.
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Treasury Narrows Reach of Foreign Income Levy to Fix 2017 Law
The Treasury Department has narrowed the reach of a new tax aimed at technology and pharmaceutical companieswith overseas income,wiping out an unintended consequence of President Donald Trump's 2017 tax overhaul.
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A Digital Services Tax for New Zealand- Time to Jump on the Bandwagon?
The New Zealand tax office is preparing to take aim at some of theworld's biggest tech giants,with Google, YouTube, Uber, Facebook and Instagram allwithin its sights. In consideringwhether to enact a new digital services tax, New Zealand is following the lead of numerous other countries. Simon Akozu and Zoe Barnes, of MinterEllisonRuddWatts, considerwhether it is the right time for New Zealand to follow suit.