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2018

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ECJ Rules French Dividend Tax Rules Breach EU Law


The European Court of Justice has ruled in favor of three Belgian companies that had challenged the legality of France's decision to refuse a refund ofwithholding tax collected on dividends paid by a resident company to a loss-making non-resident company. Between 2008 and 2011, Belgian companies Sofina, Rebelco, and Sidro received dividends as shareholders in French companies, it said.

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'Chaos' Feared If Global Digital Tax Deal Fails, Panel Says


As industries beyond tech hurtle toward a digital future, chaos could ensue unless consensus is reached on taxing a radically reshaped global economy, panelists at a forum inwashington, D.C., agreed Thursday.

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Deal Near On Int'l Digital Taxes, OECD Tells G-20


A deal may be close to being struck on a proposal for new international digital tax rules, according to a report released Friday by the Organization for Economic Cooperation and Development to the G-20. The OECD's Task Force on Digitalization is scheduled to deliver final recommendations to the G-20 on how to update tax rules to copewith the online and nonphysical economy in 2020,which once seemed a difficult task given the divergence of views among the organization's members.

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Facebook, Google, and Kering Group questioned by EU MEPs


Facebook and Google emphasised the importance of international consensus on changes to the international tax system to tax the digital economy and the scope of value creation during EU Parliament committee hearing.

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German Environment Minister Backs Contentious Carbon Pricing

  • By The Associated Press

Germany's environment minister says putting a price on carbon dioxide is "the right answer" to cut the country's emissions of greenhouse gases.

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US companies' massive cash hoard is finally coming down


The cash holdings of US companies fell nearly 10% in the first half of this year, signaling a turning point in the historic financial reserves they amassed in past two decades. Corporate America's cash mountain peaked at close to $2tn at the end of last year, according to rating agency Moody's. Some 70% of the money had piled up offshore, as companies hoarded their overseas profits rather than face tax charges by bringing them home and spending the money on things like acquisitions and stock buybacks.

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US dividends lag rest of the world despite tax cuts


The tax reforms that have transformed corporate America's earnings this year have not resulted in a similar step-change in dividend payments, according to new research showing that payouts by US companies are growing at a slower pace than the global average.

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EU's Moscovici Proposes to Scrap Unanimous Voting on Tax Bills


Tax legislation in the European Unionwould require a majority vote, not unanimous approval, for passage under a plan to be offered by Commissioner for Economic and Financial Affairs Pierre Moscovici. In Nov. 27 testimony before the European Parliament Tax Committee, Moscovici told the panel that the EU has "touched the limits" in legislative gridlock over tax laws because of the requirement for unanimous approval of tax legislation.

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Crown Dependencies Customs Union Boosts U.K. Brexit Plans


Isle of Man, Jersey and Guernsey have signed an agreement to keep their current customs arrangementswith the U.K. after Brexit, giving clarity to businesses based in the crown dependencies. Thiswould mean that no customs dutywill be applied to goods moving to and from the crown dependencies and U.K. after Brexit and They also agreed to impose the same external tariff on external trade.

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Financial Transactions Tax- a U.K. Perspective


The European Commission's proposal for an EUwide tax on financial transactions has generated much public and political discussion since itwas first published on September 28, 2011. This article discusses the proposal for the introduction of a financial transactions tax both in the EU and U.K. and the possibility of its enactment.

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Nordic Countries, Ireland Dash EU's Hopes for 2018 Digital Tax Deal


The chances of a digital tax on large internet companies like Facebook and Alphabet Inc.'s Google vanished Nov. 28when Ireland, Sweden, Denmark and Finland refused to agree to impose the temporary 3 percent levy.

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U.S. Companies Get Some Relief from IRS's New Foreign Tax Rules


U.S. companieswon some concessions from the Internal Revenue Service following proposed regulations thatwould soften the blow of a new foreign tax -- but the rules didn't go as far as the business community had hoped.

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ATO Guideline Targets Profitability for Inbound Distributors


The Australian Taxation Office (ATO) has issued a new draft risk assessment guideline that rates inbound distributors' transfer pricing compliance risk based on the ratio of earnings before interest and taxes (EBIT) to sales.

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New U.S. Transfer Pricing Regulations on Treasury's Radar


Tentative plans to revamp the transfer pricing ruleswith a new intangible property definitionwould add nothing new to the Tax Cuts and Jobs Act (P.L. 115-97), according to a top Treasury official.

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IBM, GE Meet With Treasury and OMB Amid BEAT Concerns


Treasury and the Office of Management and Budget continue to sit downwith concerned taxpayers as the proposed regs for the base erosion and antiabuse tax await final approval.

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G-20 Leader Unity Key to Digital Taxation Agreement, OECD Says


G-20 leaders must unite to keep political momentum going at the highest level so that countries stand a good chance of agreement on a long-term approach to taxing the digital economy, the OECD's chief said.

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The Spanish Financial Transaction Tax Will See The Light Soon: EU Context And Interview With ATTAC


Spainwill be the next European country to introduce the Financial Transaction Tax (FTT),which is estimated to raise ÔøΩ8.45 billion ($9.57 billion) in 2019, according to the Government's forecasts. The main objective of the FTT,which many refer to as the Tobin tax, is to introduce the tax system into the financial sector and to increase the tax collection of the States. In this case, however, it also responds to the need to justify the budget plan presented by Madrid in Brussels last October,where the Spanish Government proposed a deficit reduction of 0.4% for next year instead of the 0.65% suggested by the European Commission.

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Biz groups praise tax law fixes in Brady's bill


Business groups are praising the new tax package from Houseways and Means Committee Chairman Kevin Brady (R-Texas) for including technical corrections to the 2017 tax-cut law. The bill Brady released Monday includes five provisions that aim to correct areas of the 2017 tax lawwhere therewere unintended consequences. Two technical corrections in Brady's billwould address priorities of the retail industry. Another provision in Brady's billwould help businesses receive tax refunds.

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Google, Facebook Defend Tax Structures To EU Lawmakers


A Facebook tax official denied the company had sought special tax treatment in Europe and a Google executive committed to ending structures in Bermuda as European Union lawmakers sought Tuesday to probe suspected aggressive tax planningwithin the bloc. At a hearing held in Brussels, a tax executive from luxury clothing firm Kering also said the company's decision to use a Swiss structurewas "strategic" rather than tax-motivated. This is after statistics suggesting the company's employees in Switzerlandwere 115 times more productive than other staff raised eyebrows among lawmakers.

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House May Vote On Year-End Tax Bill This Week, Brady Says


The U.S. House of Representativeswill likely vote thisweek on a year-end tax package, released Monday evening by Houseways and Means Committee Chairman Kevin Brady, R-Texas, he told reporters Tuesday. The package ÔøΩwhichwould correct parts of the Tax Cuts and Jobs Act, renew expiring tax incentives, enhance tax-advantaged retirement accounts and provide temporary relief for victims of recent natural disasters ÔøΩwill likely be brought to a vote thisweek, at the discretion of House Majority Leader Kevin McCarthy, R-Calif., Brady said.

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House Lawmakers Propose Bipartisan Carbon Tax Bill


House lawmakers from both parties announced legislation Tuesday evening thatwould impose a tax of $15 per metric ton on carbon emissions starting in 2019 thatwould increase by $10 each following year. In addition to a carbon tax, the Energy Innovation and Carbon Dividend Act of 2018would also impose a tariff on imports not subject to a similar tax at home andwould rebate to the American public all the revenue raised by the bill.

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Treasury Offers Halfway Solution to Companies Vexed by Foreign Tax Rules


The Treasury Department issued long-awaited corporate tax regulations onwednesday, partly accommodating companies' pleas for helpwith an unexpected consequence of last year's tax law.

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Tax Cut Working Better Than Advertised


Despite concerns over trade disputes and a slowing global economy, the corporate tax rate cut enacted in December of 2017 continues to encourage the business investment that leads to higher productivity and higherwages for Americanworkers. Today the government reported that such investmentwas higher than it initially reported for the third quarter of the year.

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Businesses call for wider Japan tax reform after consumption tax rise


Japanese businesses are nervous that public pressure could again postpone an increase to the consumption tax rate, further delaying the overhaul of the tax system that theywant.

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Mauritius remains a favourite among treaty shoppers


Treaty shopping is still a common practice among taxpayerswhen investing in Africa, and Mauritius remains one of the best jurisdictions for minimising tax liabilities.

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Individual Finds Disconnect in Term Used in Interest, GILTI Regs

  • By Tax Analysts

An individual has commented on a possible disconnect between the broad definition of interest in proposed section 163(j) regulations (REG-106089-18) and the narrower definition of interest expense in proposed regs (REG-104390-18) on global intangible low-taxed income regarding interest expense allocations.

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Revised Voluntary Disclosure Rules Extend Penalty Framework


New voluntary disclosure guidelines apply to both foreign and domestic disclosures and include a penalty framework and access to Appeals.

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Chaos Concerns Propel Global Digital Tax Discussions


Apprehension over a potential patchwork of digital taxation measures could compel countries to achieve consensus by 2020.

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APMA Sees No Fundamental Changes as a Result of BEPS Project


Predictions that the IRS's advance pricing and mutual agreement programwould face a surge in disputeswith foreign tax authorities emboldened by the base erosion and profit-shifting project have thus far failed to materialize.

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U.S. to Address Some Ordering Rules With PTI Guidance


Treasury's narrowed scope for forthcoming rules on previously taxed income (PTI)will include guidance on some of the ordering rules, but answers to other PTI questionswill have towait until the spring.

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Proposed FTC Regs Massively Complex, but Not Unexpected


The proposed foreign tax credit regulations include extremely complex rules regarding allocation of expenses, among numerous issues, but largely follow the approaches practitioners thought Treasurywould take.

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MEPs Debate Value Creation With Google and Facebook


Google and Facebook users do not create taxable value under existing international rules, company representatives told a European Parliament investigative committee.

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Poland to Issue IP Box, Exit Tax Guidance


The Polish Ministry of Finance has called for public input on forthcoming guidance addressing the specific rules for Poland's recently enacted exit tax and preferential regime for income from intellectual property.

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Ireland to Pull Kill Switch on Digital Services Tax


Ireland is set to formally vote against adopting a draft digital services tax (DST) directive at a key upcoming finance ministers meeting, effectively snuffing out any chances of the tax's EU-wide adoption.

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FTC Regs Provide Minimal Relief on Expense Allocation


Proposed foreign tax credit regulations take the edge off expense allocation but largely dismiss taxpayer concerns that allocating expenses to the global intangible low-taxed income basket results in residual tax beyond Congress's intent.

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Coal Company Seeks GILTI Guidance on Overseas Mineral Interests

  • By Tax Analysts

Peabody Energy has requested clarification on the determination of qualified business asset investment for mineral interests held overseas for purposes of computing global intangible low-taxed income (GILTI) for U.S. shareholders, noting that proposed GILTI regulations (REG-104390-18) do not specifically address those interests.

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Firm Submits Proposal to Provide Relief Under Transition Tax Regs

  • By Tax Analysts

Davis Polk &wardwell LLP has submitted a proposal on behalf of a client that seeks to provide taxpayer relief from an approach adopted by proposed section 965 regulations (REG-104226-18) to address circumstances inwhich a foreign corporationwas repatriated into a domestic corporation before November 2, 2017, in a transaction governed by section 381.

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ABA Tax Section Looks to Refine GILTI Regs

  • By Tax Analysts

The American Bar Association Section of Taxation has submitted a report on proposed regulations (REG-104390-18) on global intangible low-taxed income, recommending that portions of the regs be reconsidered and suggesting clarification of other provisions.

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Deloitte Tax Seeks Reg Changes for GILTI Deduction Purposes

  • By Tax Analysts

Deloitte Tax LLP has asked Treasury and the IRS to amend the applicable regulations under section 962 to provide for a reduction in taxable income to take into account the global intangible low-taxed income deduction allowed by section 250(a)(1)(B), explainingwhy that change is needed to restore compatibility of those regswith the tax code.

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Corporation Wants Answers on Treatment of Outbound Transfers

  • By Tax Analysts

Brunswick Corp. has urged Treasury to modify the final section 367 regulations on the treatment of some property transfers to foreign corporations, stating that the prospective application of the repealed active trade or business exception under the Tax Cuts and Jobs Act (P.L. 115-97) creates confusion regarding transfers that occurred before the TCJA's enactment.

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Clarification of FDII Rules for Cross-Border Transportation Sought

  • By Tax Analysts

An individual, referencing a letter from United Airlines, has commented on the foreign-derived intangible income provisions in the Tax Cuts and Jobs Act (P.L. 115-97) and requested guidance on how theywill affect cross-border transportation services income, specifically regarding apportionment methodology.

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Foreign Bankers Seek Fix for Unintended Consequence of TCJA

  • By Tax Analysts

The Institute of International Bankers has requested guidance to eliminate new U.S. tax reporting obligations on some foreign subsidiaries of foreign banks, saying that controlled foreign corporations created due to the repeal of section 958(b)(4) should not be treated as U.S. payors for purposes of Form 1099 reporting and backupwithholding.

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How the Netherlands Is Cleaning Up Its Tax Act


In this article, the author examines Dutch efforts to address corporate tax avoidancewithout pushing away foreign investors.

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Facebook Settles Italian Tax Dispute for Over $100 Million


The Italian Revenue Agency announced that Facebook's domestic subsidiary has agreed to pay more than ÔøΩ100 million to settle a tax dispute.

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Moscovici Tempers Hope for Year-End Deal on Digital Services Tax


Time is running out for EU countries to reach an agreement on the European Commission's proposal for a digital services tax by the end of the year, EU Tax Commissioner Pierre Moscovici has admitted.

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Regs Offer Complex Scheme for CFCs' Interest Deduction Limits


Proposed regulations tackle issues that arisewhen applying the business interest deduction limitation to controlled foreign corporations, albeit at the cost of complexity.

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Bill Sides With Taxpayers on U.S. Transition Tax Overpayment Fix


Buried deepwithin the House's freshly introduced tax legislation is a provision thatwould allow taxpayers to receive refundswhen making overpayments on the transition tax, potentially resolving a highly contentious issue.

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EU Digital Tax to Apply From 2022, Compromise Proposal Says


In the latest push to convince EU member states that are either undecided about or opposed to adopting an EU-wide digital services tax (DST), the Austrian EU presidency has proposed delaying its application until 2022.

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Tech Tax Advocates Said to Prepare Last-Ditch Push for EU Deal


Proponents of a tax on the European revenue of tech giants are preparing a last-ditch push for a deal thisweek, amid continuing resistance to a levy that divides the region's governments and threatens to fragment its single market.

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Global Firms' Indian Back Offices Face Tax Trouble


India's lucrative outsourcing companies are pushing the government toweigh in after a recent ruling suggested they could face heftier tax bills, spooking the foreign businesses that rely on them.

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