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Int'l Tax News

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Part of U.K. CFC Regime Exemption Constitutes State Aid, EU Says


An exemption from U.K. controlled foreign company rules for intragroup interest on debt funded by non-U.K. sources partially grants selective tax treatment to some multinationals and thus constitutes state aid, the European Commission said.

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France Not on 'Crusade' Against U.S. With Digital Tax: Finance Minister

  • By Reuters

France is not specifically targeting U.S. internet giantswith a planned tax on digital service companies, its finance minister said in an interview, pushing back against pressure fromwashington to drop the levy.

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Italy's Problematic New Digital Services Tax


In this article, the authors discuss the new Italian tax on digital services.

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House Dems Launch Clean Energy Tax Policy Push


A Pennsylvania Democrat on Thursday reintroduced federal legislation thatwould make energy storage technologies fully eligible for the federal investment tax credit and joined scores of colleagues in calling for an extension of the ITC and other renewable energy credits that are currently scheduled to phase out.

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Media companies support digital taxation proposals


Media-related businesses are united in their desire to 'level the playing field' on taxing traditional and digital companies, but they do not all agree on the bestway forward.

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GRI's tax initiative threatens to overtake CbCR on tax transparency


Tax directors are backing an independent standard-setting body, the Global Reporting Initiative (GRI), to introduce aworldwide standard to tax reporting and public disclosures, but manyworry that the standardwill clashwith CbCR.

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ATO Reviews Asset Shifts to Avoid Australian Capital Gains Tax


The Australian Taxation Office is reviewing arrangements inwhich a multientity groupwith a large capital gain transfers the asset to an entitywith significant intragroup debt before selling the entity to a third party.

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EU Commission Undecided on Appealing Belgian State Aid Case


The European Commission has not yet determinedwhether itwill challenge a court decision overruling its finding that Belgium's excess profit tax schemewas illegal state aid, according to EU Competition Commissioner Margrethe Vestager.

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OECD Minimum Tax Might Shape Future U.S. Tweaks


The outcome of the OECD's ongoingwork on a global minimum tax regime may prompt the United States to rethink some recently enacted international tax rules.

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Observations on the BEAT Proposed Regulations' Impact on Banks


In this article, the authors analyze 11 issues that the proposed U.S. base erosion and antiabuse tax regulations raise for the international banking industry.

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Treasury Official Promises Greater Clarity in Final GILTI Regs


The final Treasury regulations on global intangible low-taxed incomewill improve on the proposed regulations by adding clarity on key issues, including the scope of the proposed antiabuse rules.

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Companies Appeal State Aid Decision on Goodwill Amortization


Two companies have appealed a decision by the EU General Court that Spain's goodwill amortization scheme provided a selective advantage to foreign companies in violation of state aid rules.

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U.K. Court Says Group Asset Transfer Rules Violate EU Law


A U.K. court has held that domestic legislation imposing immediate corporate tax liability for capital gains on intragroup stock transfers is a disproportionate measure that violates the EU right to freedom of establishment.

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Blockchain Could Dictate Future of Digital Taxation


Carrie Brandon Elliot reviews several of the latest blockchain projects and how they affect the economy, illustrating how decentralization, anonymity, and massive transaction volumes may render the OECD's two pillars obsolete in the near future.

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Quantifying and Qualifying a Move to Market


Mindy Herzfeld describes proposals to revise global tax rules to allocate a greater share of multinational companies' profits to market jurisdictions, including several presented during the OECD's recent consultation on the tax challenges of digitization.

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New Fashions in Hybrid Structuring


Lee A. Sheppard examines the proposed regs to implement the hybrid mismatch rules thatwere included in the Tax Cuts and Jobs Act.

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A Tax on a Tax: U.S. Customs Demands Bigger Bonds as Trade Tariffs Rise

  • By Reuters

Stephenwang is counting the costs of President Donald Trump's tradewar. He had to put down 12 times more cash as a guarantee to U.S. customs that hewould pay the bill for tariffs on the Chinese-made pumps, valves and motors he imports. The cost of the guarantee - a U.S. customs bond - has shot up, an additional hit to importers already facing steep customs bills adding up to tens of billions of dollars for tariffs imposed by the Trump administration on incoming Chinese goods, aswell as steel and aluminum imports.

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A Tax on a Tax: U.S. Customs Demands Bigger Bonds as Trade Tariffs Rise (1)

  • By Reuters

Stephenwang is counting the costs of President Donald Trump's tradewar. He had to put down 12 times more cash as a guarantee to U.S. customs that hewould pay the bill for tariffs on the Chinese-made pumps, valves and motors he imports. The cost of the guarantee - a U.S. customs bond - has shot up, an additional hit to importers already facing steep customs bills adding up to tens of billions of dollars for tariffs imposed by the Trump administration on incoming Chinese goods, aswell as steel and aluminum imports.

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U.S. Economy Shifts Into Low Gear as Fiscal Boost Wanes

  • By Reuters

The U.S. economy slowed more than initially thought in the fourth quarter, keeping growth in 2018 below the Trump administration's 3 percent target, and corporate profits fell by the most in a year after a one-off boost from lower taxes.

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Blockchain Havens Could Be Next Global Tax Challenge


As the international push to discourage tax avoidance and secrecywages on, many countries that formerly marketed themselves as tax havens are now looking to become hubs of blockchain, the online ledger system used to record cryptocurrencies ÔøΩ and much more.

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Cyprus Backstop? Ireland Is Not the Only Island With Brexit Muddle

  • By Reuters

While the European Union and Britainwrestle over the "Irish backstop" issue in their stalled Brexit agreement, a similar problem is taxing another island at the other end of the continent - Cyprus.

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Company Repatriations of Cash Surged, Then Moderated in 2018


U.S. companies more than quadrupled the amount of foreign earnings they sent home in 2018 following enactment of a tax-law overhaul in late 2017, though the size of so-called repatriations declined after an initial spike.

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PwC comment letter addresses unintended consequences of repealing Section 958(b)(4)

  • By PwC

PwC submitted, on behalf of a group of companies, a comment letter on February 19, 2019,which addresses an issue arising from the interaction of Section 267(a)(3)(B)with the TCJArepeal ofSection 958(b)(4).

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UK's Making Tax Digital Initiative To Cover Only VAT Until 2021


British businesses havewelcomed confirmation from the UK Government that Making Tax Digitalwill not be rolled out to other taxes and more businesses in 2020.

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The Green New Deal and carbon taxes can work together


As Congress opens discussions on how best to address climate change, some opponents of these efforts are positioning the Green New Deal and carbon taxes as conflicting strategies. This should not be the case. Congress should consider this an opportunity to demonstrate that the most efficient approach to addressing climate changewould incorporate both strategies.

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Tax Changes Hit Overseas Profits of Some U.S. Companies


When Republicans rewrote the international tax system in 2017, theywere trying to help U.S. companies like Procter & Gamble Co. compete in foreign markets and create domestic jobs. Fifteen months later, the Ohio-based consumer products maker and other U.S.-based multinationalswarn the new law could instead put them at a disadvantage globally and reduce their incentive to invest at home.

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Tax Reform Is No 'Sugar High'


The current mantra from opponents of the 2017 Tax Cuts and Jobs Act is that the strong economic growth that followed is the result of a "sugar high." Many nowwrongly argue the U.S. is headed for a sharp economic slowdown, possibly even recession. These arguments reflect political and ideologicalwishful thinking, not a substantive analysis ofwhat is happening in the economy.

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AICPA Provides Recommendations for Proposed FTC Regs

  • By Tax Analysts

The American Institute of CPAs has recommended changes to proposed foreign tax credit regulations (REG-105600-18) on topics that include the determination of stock basis in connectionwith section 965(b)(1), the allocation and apportionment of research and experimentation expenses, and characterizing stock of a noncontrolled 10 percent corporation.

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UN Issues Release on Economic Report

  • By Tax Analysts

In the "Fiscal Policy for Financing Sustainable Development in Africa" report issued on March 26, the UN Economic Commission for Africa called for a refrain from unproductive tax incentives and a reform of the tax system administration through digitalization.

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Germany Ends Plan to Apply Royalty Withholding Tax to Online Ads


Germany's federal and state governments have decided to drop a controversial plan to apply a 15 percentwithholding tax on royalties to payments for online advertising made to foreign internet companies, including Google and Facebook.

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Not All Foreign Arms Sales Will Benefit From FDII


Defense contractors may have caught a big breakwith their eligibility for foreign-derived intangible income under proposed regs, but not all arms sales that ultimately go to foreign governmentswill benefit from the deduction.

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Using Impact Evaluation to Examine Domestic and International Cooperative Compliance Programs


In this article, the authors discuss how taxpayers and tax authorities alike can use impact evaluation to examine the effects of cooperative compliance programs. More specifically, they consider how to design an impact evaluation that can thoroughly assess the outcomes of the International Compliance Assurance Program, a new project that the OECD hopeswill provide early certainty, offer assurances regarding tax obligations, and promote the efficient use of resources by both tax administrations and taxpayers.

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Zimmer Biomet Challenges Former Section 367 Regs


In a Tax Court petition contesting $219 million in transfer pricing adjustments, Zimmer Biomet Holdings alleges that the IRS violated the Administrative Procedure Act (APA)with its former regulations on outbound intangible transfers in corporate reorganizations.

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Tax Chiefs to Expand Tax Risk Assessment Pilot Program


The heads of some 50 tax administrations are moving to phase two of an experimental multilateral tax risk assessment program ÔøΩ this timewith 17 countries ÔøΩ as part of their ongoingwork to enhance tax certainty.

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A-Brauerei: CJEU Rules Exemption From German Real Estate Transfer Tax Does Not Constitute State Aid


In this article, the author discusses the Court of Justice of the European Union's judgment in A-Brauerei ÔøΩ holding that an exemption from Germany's real estate transfer tax should not be considered state aid ÔøΩ and looks at the expected impact of the ruling.

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EU Claims 'Final Victory' in WTO Ruling Over Boeing Tax Benefits


The EU has claimed a "final victory" in a long-running disputewith the United States, saying awTO appellate body ruled that Boeing has continued to receive illegal tax subsidies despite earlier rulings banning them.

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Tax Commissioners Set Out Ways to Tax Gig and Sharing Economy


Tax administrations have proposed approaches to ensure the taxation of the sharing and gig economy, including developing a model allowing platforms to report seller details in a standardizedway.

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EU Council Endorses Revised Tax Haven Blacklist

  • By Tax Analysts

The Council of the European Union has issued a conclusion, endorsing the revised non-cooperative jurisdictions blacklist and praising those jurisdictions that have resolved deficiencies in anti-money laundering and terrorist financing by the agreed deadline.

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Satellite Operator Sues IRS Over CFC Guarantees


A U.S. subsidiary of a global satellite operator has sued the IRS in Tax Court, alleging that the agency erred in determining that three of its controlled foreign corporations guaranteed notesworth $1 billion.

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IRS Processing Times for APAs Rose as 2018 Applications Doubled


Facedwith twice as many advance pricing agreement applications and reduced staffing compared to 2017, the IRS advance pricing and mutual agreement program reported a six-month rise in the median application processing time for 2018.

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Hit Tax Havens To Stop Digital Co. Abuse, UK Group Urges


Successive U.K. governments have failed to rein in tax avoidance by digital behemoths like Google and Amazon.com, so Britain should target use of Ireland as a tax haven enabling that practice, a U.K. tax advocacy group said Thursday.

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IRS Addresses Scope Of Helping US Firms In Tax Spats Abroad


The Internal Revenue Service's Large Business and International Division issued a practice unit Friday for training agency personnel about U.S. multinational companies' ability to get agency helpwhen a foreign government initiates an income tax adjustment.

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'Abenomics' Architect Predicts Japan to Go Ahead With Sales Tax Hike

  • By Reuters

Japanese Prime Minister Shinzo Abewill likely proceedwith a scheduled sales tax hike in October even though slowing global demand and softwage growth couldweigh on the economy, one of the architects of the premier's stimulus policies said.
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OECD Seeks Reporting Standard For Online Sales, Services


The Organization for Economic Cooperation and Development is currentlyworkingwith businesses and governments to develop a standard that could require onlineweb service providers to report information on sellers to tax authorities.
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IMF's Lagarde Calls for International Tax Reforms

  • By Tax Analysts

Christine Lagarde, International Monetary Fund managing director, in a March 25 speech called for reforms to the current international corporate tax system so that "all countries can benefit, including low-income nations."

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GILTI Regime Shows Residual Profit Allocation System Can Work


Despite the complexity inherent in designing a global residual profit allocation system of the type recently proposed by the OECD, the U.S. global intangible low-taxed income rules suggest that the challenges are not insurmountable.

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Does the World Need Tax Inspectors Without Borders?


Robert Goulder examines the use of knowledge-sharing programs among national revenue bodies, as exemplified by the group Tax Inspectorswithout Borders.

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Public Testimony Faults Statutory Departures in BEAT Guidance


Several provisions in the base erosion and antiabuse tax guidance are being criticized as running contrary to statutory language or intent, including the non-exclusion of subpart F inclusions and the application of a blended rate.

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Democrats Target GOP Tax Changes They Say Encourage Outsourcing


Representative Lloyd Doggett and Senator Sheldonwhitehouse are introducing two bills March 13 thatwould effectively repeal some provisions of the Republican tax overhaul of 2017 that the Democrats say encourage outsourcing.

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Tax Reform in Colombia- Key Points for Foreign Investors


Although the recent Tax Reform Law is not the structural tax reform the Colombian tax system has been demanding for several years, it introduces important measures regarding value-added tax, income tax, dividends, and indirect sale of assets. In addition, it creates a new Colombian Holding Company regime to incentivize multinational groups carrying out certain investment activities to establish their headquarters in Colombia.

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