Posted on
Tax-Disclosure Plan Would Reveal Reinvested Foreign Earnings
Posted on
Tax & Investment in the US
Posted on
Section 892: Form, Function, and Meaning, Part 3
Kimberly S. Blanchard examines the history and purpose of section 892 and recommends that the current regulations be replacedwith rules that focus on function rather than form.
Posted on
G20 ministers support plan to label countries that dont share tax information asnon-cooperative
Posted on
International community continues movement towards greater tax transparency (1)
Posted on
Italy: Advance ruling for new investments in light of the recent clarifications provided by tax authorities
Posted on
Lessons from Brexit About the Credibility of Experts and Evidence
Posted on
Why a financial transactions tax would work, expert says
Posted on
G-20 Officials Warn Against Public Country-by-Country Reporting
Posted on
To Curb Profit Shifting, States Eye Transfer Pricing Training
Posted on
Transaction Reducing Tax for All Parties Was Equity, Not Debt
Posted on
How to Kraft (or Not Kraft) Debt-Equity Regulations
Posted on
G-20 Leaders Call for Certainty, Fairness in Tax Policy
Posted on
Debt-Equity Rules Could Be Easier to Strike With Pending Bill
Posted on
Survey: Brexit readiness barometer
Brexit has bolstered uncertainty in the tax system andwhile the UK's relationshipwith the EU is evolving, understanding and planning for your business's next steps during this ambiguity is vital.
Posted on
Norway: Foreign shareholders face 10-year withholding tax reassessments after Supreme Court ruling
Until recently, itwas unclearwhether the Norwegian tax authority (NTA) could reassess thewithholding tax liabilities of foreign shareholders as far back as two or 10 yearswhen the distributing company had disclosed incorrect or insufficient information.
Posted on
Board accountability: A new era
Efforts to improve tax transparency in the post-BEPS environment have shifted the tax accountability of corporations to their boards of directors. Keith Brockman considers the implications of these changes.
Posted on
Report by the Platform for Collaboration on Tax to the G20: Enhancing the Effectiveness of External Support in Building Tax Capacity in Developing Countries
G20 Finance Ministers, in their communique of February 2016, called upon the IMF, OECD, UN andworld Bank Group to "recommend mechanisms to help ensure effective implementation of technical assistance programmes, and recommend how countries can contribute funding for tax projects and direct technical assistance, and report backwith recommendations" at their July meeting. The four organisations,working jointly as the members of the new Platform for Collaboration on Tax – drawing on their individual experiences in delivering technical advice and their interactionswith other providers of technical assistance, development partners, and especially country governments – developed a series of recommendations and enabling actions in response to this request. The recommendations in this report further benefitted from a public request for feedback on draft recommendationswhich attracted responses from governments, businesses, civil society and individuals.
Posted on
Becoming a Tax Haven Is Harder Than It Looks
Posted on
News Analysis: Regulation Redux: The Debt-Equity Regs in 1980 and Today
Posted on
News Analysis: Brexit and Cross-Border M&A
Posted on
CIT Group Wins Interest Income Case in Canada Tax Court
Posted on
Post-Brexit U.K. as Tax Haven? May Be Harder Than It Looks
Posted on
Ex-Official: OECD Unlikely to Examine Capital Allocation
Posted on
News Analysis: BEPS Alternatives -- Evaluating Other Reform Proposals
Posted on
Debt-Equity Reg Treatment Inconsistent, Professor Says
Posted on
G20 calls for tax policy overhaul
Posted on
G20 countries face calls for action to boost growth
Posted on
Schaeuble Is Putting Financial Transaction Tax on Global Agenda
Posted on
Companies Urged to Plan for Anti-Hybrid Mismatch Rules
Posted on
South Africa releases draft tax law amendments
Posted on
News Analysis: The Celtic Tiger's Last Roar?
Posted on
OECD Transfer Pricing Documentation Now Targets Multinationals
Posted on
OECD seeks comments on new permanent establishment profit attribution guidance
Posted on
U.S. Foreign Direct Investment, Irish GDP Both Surge in 2015
Posted on
Economic Analysis: Border Adjustments Key to GOP Blueprint's Cash Flow Tax
Posted on
EU and global tax implications of UK public vote to leave the EU
Posted on
Narendra Modis Tax Overhaul Taxes India
Posted on
Obama to address tax evasion, money laundering at G-20, aide says
Posted on
IRS to Agents: Scrutinize Foreign Currency Derivatives
Posted on
A Shrinking World Spurs Calls to Rewrite the Tax Guidebook
Posted on
Tax policy should be used to fight inequality, says OECD
Posted on
Pros and Cons of a Carbon Tax: Key Issues
Posted on
China makes major changes to transfer pricing documentation and reporting rules for multinationals
by Daniel Chan,windson Li, and Henry Ji (Multinational Tax & Transfer Pricing News)
Posted on
Investing in India: How structuring dynamics change to keep pace with tax policies
by Sanjay Sanghvi and Ritu Shaktawat
Sanjay Sanghvi and Ritu Shaktawat, partner and principal associate at Khaitan & Co in India, investigate how India's revised DTAs and evolving tax laws are changing theway various structures are used for foreign direct investments in India. @
Posted on
Why India's 'Biggest Tax Reform' GST Is Still Stuck
Posted on
Chile releases guidance on amended income tax law
by Ameila Schwanke
Chile has released guidance on amendments made by circulars 39 and 40,which aim to simplify Chile's corporate tax regime as enacted by legislation in 2014. @
@
Posted on
Debt-Equity Rules Put Brakes on Distributions: JPMorgan
Posted on
Debt-Equity Rules on States' Radar, Though No Changes Yet
As the Treasury Department moves toward finalizing its divisive debt-equity rules, states are in the early stages of determining how the new federal regimewill trickle down.
Posted on
Loan Repayments Are Question Under Debt-Equity Rules: IRS