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GM Didn't Invest Tax-Cut Proceeds in the U.S., Ohio Lawmakers Say
General Motors,which is closing five North American factories,was criticized by lawmakers in Ohio,with Sen. Sherrod Brown (D-Ohio) accusing the automaker of using the benefits of last year's tax cut to invest in Mexico.
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US capital expenditure boom fails to live up to promises
In this opinion article, the author discusses the recent tax cuts effect on the US economyÔøΩthe Trump administration claims the corporate tax cutswould spur huge investment and growth, raisingwages and ushering a new era of bullishness. Not quite.
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Amazon Lifts Ban on Australians Shipping From Its Main Site
Amazonwill grant Australians access to products from its mainwebsite,walking back a decision made earlier this year that angered its customers in the country. The online retailer had announced that itwould redirect Australians to a localwebsite to complywith changes to Australian tax lawwhich requires online retailers to impose a 10 percent goods and services tax on items sold and shipped from overseas.
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China Exempts Foreign Investors From Bond Market Taxes
Foreign investors in China's onshore bond marketwill be exempt from taxes for the next three years, China's Ministry of Finance said Thursday.
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Caricom to Waive Taxes on Oil as Petrotrin Refinery Closes
A Caribbean trade bloc is removing taxes on imported oil and petroleum products for the region as a major refinery on the island of Trinidad prepares to close.
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Canada to Offer Tax Credits and Incentives to Media
Canada's federal government saidwednesday it is stepping in to help the struggling Canadian media industrywith new tax credits and incentives.
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The Engie State Aid Decision - Another One Bites the Dust
The European Commission has ruled that Luxembourg granted illegal state aid to Engie, but the Luxembourg government disagrees. On September 6, 2018, the European Commission released its decision of June 20, 2018 regarding the Engie state aid investigations. The Commission ruled that Luxembourg granted illegal state aid to Engie and should collect around 120 million euros ($136.5 million) of taxes from the company.
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Australia - Restructure of Hybrid Mismatch Arrangements and Tax Avoidance Guidance
The Australian Taxation Office has issued final guidance to assist taxpayers to manage their compliance risk by outlining straightforward low risk restructuring towhich theywon't seek to apply tax avoidance provisions.
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European Commission Finds no Illegal State Aid
In a significant decision, the European Commission found that Luxembourg did not grant illegal state aid to McDonald's. However, multinational groups that still operatewith hybrid permanent establishments should carefully analyze upcoming tax law changes.
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Shell Company Testimony Drives EU Lawmaker Demand for Crackdown
The European Union needs to put pressure on member states to do awaywith the kind of shell companies that attract tax avoidance and money laundering, according to Jeppe Kofod, spokesman for the European Parliament's committee that focuses on financial crime.
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Business Lauds Trudeau's Tax Relief but Says More Could Be Done
Justin Trudeau spent awindfall on billions in tax breaks for Canadian businesses. Their response is that he still haswork to do.
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Canada Offers $10.6 Billion in Incentives to Counter U.S. Tax Reform
Canada is offering tax incentives totaling C$14.0 billion ($10.6 billion) to offset the impact of President Donald Trump's tax reforms on the country's ability to compete for capital investment.
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Interest Spikes as Hungary Moves to Offer Group Tax Loss Relief
Companies that fallwithin a group structure are keen on Hungary's latest plan to help them reduce their collective tax by sharing corporate tax losses. The optionwould let affiliated companies set up a corporate tax group. Further, the planwould make it possible for these companies to eliminate the need to prepare domestic transfer pricing documentation.
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EU Banking Industry Calls for Blanket Exemption From Digital Tax
Bankers are piling the pressure on the European Union to ensure all financial services receive a blanket exemption to the bloc's pending 3 percent digital services tax.
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Tax Professionals Grapple With EU Transparency Challenges
Companies in Europe are being advised towork now to complywith new rules requiring them to report certain aggressive cross-border tax planning arrangements to national tax authorities.
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EU Tech Tax Could Take Effect by 2022 at Latest, Document Says
The European Union's digital tax geared at clawing back money from tech giantswould take effect in member states across the bloc by 2022 at the latest, according to a draft outlining a compromise legislative proposal by Austria,which holds the EU's rotating presidency.
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Oil Giants Push for Details on BEAT, Foreign Tax Credits
Some of the biggest oil companies are looking for details on how to navigate the transition between the old U.S. international tax system and the new one. Representatives from the American Petroleum Institute and a number of major energy companies metwith officials from thewhite House's Office of Management and Budget on Nov. 19 to talk about soon-to-be-released proposed regulations and guidance on foreign tax credits and the base erosion and anti-abuse tax. The group is asking the OMB to include transitional details in those proposed regulations that clarify how the 2017 tax law treats net operating losses a company accrued before the law passed, and how companies can apply their old foreign tax credits under the law.
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Tax Legislation 'Blue Book' Coming: What It Is, Why It Matters
The nonpartisan Joint Committee on Taxation is set to release its explanation of the 2017 tax law soonÔøΩwhat's known as the "blue book." It may be the most anticipated edition yet of the publication.
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Deere, Gap Report Smaller Tax Law Charges
Foot Locker Retail Inc., Gap Inc., and Deere & Co., commonly known as John Deere, all revised down their one-time 2017 tax overhaul payments in their most recent quarters.
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Liberty Mutual, Chubb Seek 'GILTI' Tax Fix
U.S. insurance companies can be taxed twice on foreign earnings under one of the international provisions in the 2017 tax overhaul, even if those profits have been taxed highly elsewhere, insurers told the Treasury Department.
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Only Tax-Compliant Firms To Be Allowed Australian Gov't Contracts
Australia is to require businesses seeking to tender for significant federal government procurement contracts to demonstrate their record of tax compliance. From July 1, 2019, tenderers for procurement contractsworth over AUD4m (USD2.9m) (inclusive of goods and services tax)will need to provide a statement from the Australian Taxation Office (ATO) to show that they have a satisfactory tax record.
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Countries disagree on advantages of MLI 'synthesised texts'
Jurisdictions are beginning to create 'synthesised texts' to help taxpayers understand how the OECD's multilateral instrument (MLI) interactswith bilateral double tax treaties, but some believe they do not offer the legal clarity taxpayers seek and risk future disputes.
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Technology Improving Tax Systems In Some Countries: Report
While some economies have continued to integrate new technology to improve their systems for the benefit of taxpayers aswell as tax authorities, other countries have trailed behind, introducing new taxeswithout technological advances, according to a report releasedwednesday by PwC and theworld Bank.
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Canada Unveils Tax Incentives to Offset Trump Effect
Canada onwednesday unveiled billions in economic measures aimed at jump-starting lackluster business spending and countering the risk of lost investment to the U.S. stemming from the Trump administration's tax reform.
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White House's Kudlow: Tax Reform's Next Phase Won't Happen in 2018
White House Economic Adviser Larry Kudlow told reporters on Tuesday the next phase of U.S. tax reformwill not happen during the final months of 2018, the "lame duck" periodwhen Republicanswill still control Congress.
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One Thing Investors Don't Need to Worry About
Tuesdaywas another down day in the markets amid concerns about global growth, U.S. interest rates and President Donald Trump's trade disputewith China. But investors suffering high market anxiety fortunately do not need towonderwhether tax competitivenesswill help the U.S. in the long run.
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Companies Face Revenue Untangling Burden With U.K.'s Digital Tax
Internet-based companiesÔøΩranging from Amazon and Facebook, to Tinder and Alphabet Inc.'s GoogleÔøΩwill have to unravel the geographic origins of their revenue streams and customers to check if the U.K.'s digital taxwould apply to their businesses.
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Analyzing the Macroeconomic Impacts of the Tax Cuts and Jobs Act on the States
Robert Carroll and Brandon Pizzola of EY discuss the effect of 2017 tax law on the economies of the states. The authors find that there are variations across the states caused by the differences in the composition of state economies, the sunset of some tax-reducing provisions, and the delay of some tax-increasing provisions.
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Thoughts on the Compatibility of LOB Clauses and EU Law
In this article, the author examines the opinion statement by CFE Tax Advisers Europe on the compatibility of limitation on benefit clauseswith EU fundamental freedoms and offers some insights.
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Lobbying on BEAT Goes On While Regs at OMB Review
Public records indicate that lobbying on the proposed base erosion and antiabuse tax continues evenwhile proposed regulations are being reviewed by the U.S. Office of Management and Budget.
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Energy Giants, OIRA Meet Over BEAT
Treasury and the Office of Management and Budget recently metwith several oil industry representatives as part of their regulatory review process in anticipation of the release of base erosion and antiabuse tax guidance.
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EU Lawmakers Call for Expanding Digital Services Tax Proposal
Members of the European Parliament (MEPs) pushed for expanding the scope of the proposed EU digital services tax (DST) at a meeting of the Committee on Economic and Monetary Affairs (ECON).
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U.S. Chamber Outlines Suggested Changes to Proposed GILTI Regs
The U.S. Chamber of Commerce has commented on proposed regulations (REG-104390-18) under section 951A on the inclusion of global intangible low-taxed income by U.S. shareholders, addressing the double taxation of high-taxed foreign income and seeking several changes to the regs, including clarification of an antiabuse rule andwithdrawal of a per se rule and the basis reduction rules.
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EU Code of Conduct Group Reports on Late 2018 Activities
The EU Code of Conduct Group has issued a report on the activities of the EU Council's Austrian presidency regarding business tax measures that the group assessed during the second half of 2018.
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U.K. May Need 2 Years to Set Up No-Deal Brexit Customs System
The United Kingdom may need at least two years to set up a functioning customs border and may temporarily forgo tariff collection in a no-deal Brexit scenario, a top HM Revenue & Customs official said.
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Canada Boosts Post-TCJA Competitiveness With Tax Measures
In response to the U.S. Tax Cuts and Jobs Act, Canada has proposed three measures to boost its competitiveness,whichwould give it the lowest overall tax rate on new business investment among G-7 countries.
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News Analysis: Accounting Disclosures Post-TCJA
Congress makes tax laws, but accounting guidelines are mostly left for the Financial Accounting Standards Board, a private rulemaking body, to determine. As a result, the many international tax law amendments enacted by the Tax Cuts and Jobs Act (P.L. 115-97) don't necessarily result in any immediate changes to how companies should calculate their tax liabilities or determine their deferred tax assets or liabilities in their financial statements, nor how they should provide supplemental disclosures about their tax liabilities. The SEC's accounting guidelines for companies traded on the U.S. stock exchanges generally follow FASB's guidelines,which set rules for generally accepted accounting principles.
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Canada to offer tax credits and incentives to media (1)
Canada's federal government is stepping in to help the struggling Canadian media industrywith new tax credits and incentives.
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EU Digital Tax Should Be Higher, Broader, Lawmakers Say
A proposed European Union digital tax should be set at 5 percent rather than 3 percent and should include revenue from sites such as Netflix Inc. and Amazon.com Inc., European Parliament lawmakers said Monday.
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SIFMA Looks at Basis Adjustment Rule, Interest Expense in GILTI Regs
The Securities Industry and Financial Markets Association has commented on proposed regulations (REG-104390-18) under section 951A on the inclusion of global intangible low-taxed income by U.S. shareholders, focusing on a tailored basis adjustment rule and on the exception for qualified interest expense.
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U.S. Tax Review (7)
In this article, the authors discuss recent U.S. international tax developments, including guidance on basis adjustments, the Tax Court's decision in Smith, and treaty issues related to the Tax Cuts and Jobs Act.
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German Economy Minister Calls for Corporate Tax Cut
Germany's economy needs a corporate tax cut to counteract the downturn in the third quarter, the country's economy minister said.
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Brexit Deadline Looms Over $1.5 Billion EU Probe of U.K. Tax Break
As the political climate over Brexit heats up, the European Commission faces the choice of quickly concluding its state-aid investigation into a controversial tax break for U.K.-based multinational companies.
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Plan to Roll Out Digital Tax in 2021 Gets Frosty Reception at EU
A new "sunset" clause for the European Union's pending three percent digital services tax,whichwould see it being rolled out in 2021, got the cold shoulder from a host of countries in the bloc.
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India Data Rules May Raise Tax Issues for Mastercard, Visa
Rules requiring foreign companies to store certain types of data in India have opened a front in the country's quest forways to tax its booming digital economy. Tax professionals are exploringwhether data localization, as it is known, means digital companies are present in the country and therefore potentially subject to levies they hadn't previously had to pay.
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Ford and Its Foreign Sales Corporation Were Not 'The Same Taxpayer'
Robertwillens discusses Ford Motor Co.'s attempt to gain interest netting for overpayments and underpayments made by it and itswholly owned foreign sales corporation. The companywas unsuccessful since it and the FSCwere not found to be "the same taxpayer."
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Navigating QBAI Quirks of the GILTI Regulations
Yes, the proposed GILTI regulations didn't answer some of the tough questions, particularly those surrounding the calculation of foreign tax credits. But the regulations do address other critical issues and suggests the general approach of Treasury and the IRS to drafting regulations under the 2017 tax actÔøΩwhich is to adopt regulations that Treasury and the IRS believe are consistentwith the overall statutory framework, and not regulations that unduly defer to specific statutory language that seems out of sync. This article summarizes certain key aspects of the proposed GILTI regulations relating to a controlled foreign corporation's qualified business asset investment.
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The Changing Headquarters Landscape for Fortune Global 500 Companies
The location of headquarters for the Fortune Global 500, the 500 largest corporations by revenue in theworld, has shifted significantly in recent years. Many factors can affect the choice of a company's headquarters location, such as regional economic growth and stability, local infrastructure, a country's regulatory environment, a country's tax policies, among others. Given the significant changes in countries' statutory corporate income tax rates during the 2000 to 2018 period, this article compares how headquarters locations and top statutory corporate income tax rates have shifted in recent years and discuses notable trends.
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Fundamentals of Tax Reform: FDII
In the first of a four-part series on the fundamentals of international tax reform, Kimberly Majure and Barbara Rasch of KPMG LLP discuss the calculation of the deduction for foreign-derived intangible income (FDII). They explain the critical issues that require careful consideration and present planning opportunities, and they suggest best practiceswhile IRS guidance remains pending.
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Fundamentals of Tax Reform: GILTI
In the third of a four-part series on the fundamentals of tax reform, Barbara Rasch and Joshua Kaplan of KPMG LLP provide a general overview of the global intangible low-taxed income (GILTI) rules in new tax code Section 951A. They explain the issues involved in computing the GILTI inclusion, taking into account the guidance provided in the recently issued GILTI proposed regulations.