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2020

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G-20 Global Tax Revamp More Relevant Than Ever, Minister Says (1)

  • By Stephanie Soong Johnston

TheG-20continues to push forward on anOECD-led solution to modernize the global tax system, since countries hit hard by COVID-19will soon need to think about economic recovery, a top Saudi minister said.

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A New Era of Risk-Based IRS Transfer Pricing Enforcement


In this report, the authors trace the development of theIRS Large Business and International Division's new approach to transfer pricing enforcement, and they explain the practical implications for taxpayers and advisers.

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Overtaken by Events: Should the OECD Delay BEPS 2.0?

  • By Robert Goulder

The OECD inclusive framework is in the midst of something historic, assuming it can finish the job. The ensemble of 137 jurisdictions is trying to revise the international consensus,which for the past century has determined how corporate profits are divvied up among governmentswith rival tax claims. That's no small task. Thework is being done at the behest of the G-20 nations, and it's the type of globally coordinated mega-project that comes around only once in a generation.

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The Impact of the COVID-19 Pandemic on Tax Residence Rules (1)

  • By Michael J.A. Karlin

In this article, the author examines the definition of a resident alien undersection 7701(b)in the context of the coronavirus pandemic.

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World Must Not Lose Focus on Global Tax Overhaul, Germany Urges

  • By Stephanie Soong Johnston

Theworld needs to stand together, not only to fight the coronavirus pandemic, but also to agree on an OECD solution to update global tax rules for the digital age, Germany's finance minister said.

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NOL Break May Require Reconsideration of Transition Tax Position

  • By Andrew Velarde

U.S. taxpayers looking to take advantage of net operating loss relief under the coronavirus stimulus bill may find themselves facing the difficult task of reconsidering previously taken return positions related to complicated transition tax calculations.

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Companies Save Billions in Taxes by Shifting Assets Around Globe

  • By Richard Rubin

Multinational corporations are devising new strategies to keep their taxes low, saving billions of dollars by navigating around attempts by the U.S. and European countries to tighten the tax net.

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OECD Helps Countries Interpret Tax Treaties During Crisis 

  • By Isabel Gottlieb

In guidance released Friday, the Organization for Economic Cooperation and Development explained how countries can interpret treaties in instanceswhere employees are stranded abroad orworking remotely due to the crisis.

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Tax Law Changes May Limit Benefits of New Loss Carryback Perk 

  • By Siri Bulusu

Multinational companies should think carefully about how carrying back losses to more profitable yearswill impact their international tax strategy.

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Antitrust and the Corporate Tax: A Missed Opportunity? 

  • By Reuven S. Avi-Yonah

Professor Avi-Yonah discusses an alternative method of antitrust enforcement, the corporate tax. He succinctly argues three points before concluding that anew Digital Services Tax (DST) may play a useful regulatory role to curb the monopoly power of Big Tech. First, even a low corporate tax rate requires corporations to provide difficult to obtain information to the government. Second, because a sufficiently high tax can be destructive corporate management may limit its aggressiveness in fear of such a high tax. Lastly, the corporate tax rate can be raised or lowered in response to specific desirable or undesirable activity.

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Taxes in the Time of Coronavirus: Is it Time to Revive the Excess Profits Tax? 

  • By Reuven S. Avi-Yonah

Professor Avi-Yonah argues that given that most corporations are losing money, but some are now earning enormous profits due to the crisis, it is time to revive thewartime excess profits taxes that the US deployed inworldwar I andworldwar II to prevent corporatewinners from achieving this form of opportunistic unjust enrichment.
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Insight: Transfer Pricing in a PandemicLessons From China 

  • By Glenn DeSouza

Using cases and solutions based on the latest Chinese legal, accounting, and economic developments, the author discusseswhether the recent pandemic should be used to invoke force majeure clauses in transfer pricing policies.

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Take Action Now, U.K. Tells Tech Companies in Tax Guidance

  • By Hamza Ali

Complyingwith the U.K. digital services tax could bring legal and technical headaches in a time of crisis, tax practitionerswarn because Parliament has not yet been able to give its final approval.

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OECD Offers Tax Authorities a Guide to Coronavirus Measures

  • By Isabel Gottlieb

Global tax authorities are extending filing deadlines,waiving penalties for late payments, and issuing refunds more quickly to help companieswalloped by the coronavirus pandemic, a recently released OECD report says.

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India to Levy New Tax on Foreign E-Commerce Cos From April 1 

  • By Shruti Srivastava

Indiawill start levying a new tax on foreign e-commerce operators beginning April 1, according to a recently passed law.All non-resident e-commerce platform operatorswill have to pay the new tax -- equalization levy -- at the rate of 2% of the income received.
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Uber Case in U.K. Could Become Model for How to Tax Gig Economy 

  • By Meg Bernhard

A U.K. tax case could alter how Uber Technologies Inc. does business across Europe and put pressure on the country's tax authority to retroactively collect up to 1.5 billion pounds in value-added taxes.
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Insight: Does It Make Sense to Impose Higher Taxes on Automated Digital Services?

  • By Jeff VanderWolk¬†

The authorquestionswhether it makes sense for the OECD to be pursue increased taxes on automated digital services businesses in the near futurewhen those serviceswill be key to a global economic recovery.
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Constructive Dialogue: BEPS and the TCJA

  • By Reuven S. Avi-Yonah

Professor Reuven S. Avi-Yonah arguesthatwhile the US is typically seen as influencing international tax law, in the case of the TCJA, the US legislationwas heavily influenced by the OECD BEPS project, and that the continuing OECDwork in Pillars I and II is likely to have a similar influence on the future development of US international tax law.
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Insight: Covid-19 Puts Limited Risk Structure at RiskAnalysis from the Chinese Angle 


In light of thepressure on the Chinese economy and businesses brought about by the outbreak of Covid-19, the authors examinethe Chinese limited risk manufacturing, distribution, and service companies,which are common in the supply chains of many multinational corporations, to see how these companies can address their transfer pricing arrangements in light of changed circumstances.

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Tax Law Changes Make Life Harder for Firms Facing Coronavirus Losses

  • By Richard Rubin

The 2017 tax law is making life harder for U.S. businesses that suffer sudden losses, and Congress is under pressure to relax some of those provisions as the economy reels from the impact of the coronavirus.
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Companies Owing Repatriation Tax May Miss Payment Extension

  • By Siri Bulusu

Companies should plan to pay tax on assets brought back from overseas on the normal schedule this year, despite Treasury's having extended the tax payment deadline for companies and individuals.

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U.K. Relaxes Tax Rules for Nonresidents Fighting COVID-19

  • By Stephanie Soong Johnston

HM Treasuryhas proposed changing the rules to allow skilled nonresidents to come to the United Kingdom to helpwith its COVID-19 responsewithout affecting their tax residency status.

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Examining the Proposal to Abolish Dividend Distribution Tax in India

  • By Srishti Singh

In this article, the author discusses the impact of the proposed abolishment of India's dividend distribution tax,with a particular focus on how the change may affect the overall investment climate.

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Using Arbitration to Resolve Transfer Pricing Disputes and the Impact of the OECD's Unified Approach Proposal

  • By Gabriel Capristano Cardoso

In this article, the author considers the use of alternative forms of dispute resolution to resolve tax treaty disputes, focusing on the potential benefits of and obstacles to using mandatory binding arbitration to resolve transfer pricing disputes, including those that may arise under theOECD's unified approach for allocating profits in the digital economy.

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Final Hybrid Mismatch Regs Deviate Little From Earlier Rules

  • By Andrew Velarde

New guidance on hybrid mismatches may include small measures of relief for taxpayers, but practitioners hoping for bigger changes from earlier guidance may be disappointed, if not surprised.

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Digital Services Taxes: How Did We Get Into This Mess?

  • By Peter A. Barnes and H. David Rosenbloom

In this article, the authors consider the state of digital services taxation following theOECD's initiative to develop global digital tax rules.

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Switzerland Must Fix Beneficial Ownership Shortfalls, OECD Says

  • By Stephanie Soong Johnston

While Switzerland has improved its exchange of information mechanisms, including adding more staff to handle data requests, it must do more to improve its beneficial ownership data availability, theOECD's transparency body said.

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Irish Tax Authorities Relax Residency Requirements

  • By Kiarra M. Strocko

TheIrish Revenue Commissionersare calling the COVID-19 pandemic a case offorce majeure, saying that a taxpayerwill not suffer negative tax repercussions for being present in Ireland because of travel restrictions.

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Finnish Court Rejects Recharacterization of Intragroup Debt

  • By Ryan Finley

The Finnish tax administration cannot recharacterize an intragroup lender as a service provider because taxpayers' transactions must be respected as structured unless theywere undertaken for avoidance, according to Finland'shighest courtin tax disputes.

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Close Encounters With Public CbC Reporting

  • By Robert Goulder

Robert Goulder examines how public country-by-country reporting almost made it into Congress's pandemic relief legislation.

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USTR Lists Digital Services Tax Among Trade Sore Spots in 2020

  • By Annagabriella Colon

TheOffice of the U.S. Trade Representative(USTR) said itwill continue towork toward the elimination of unilateral digital services taxes,which it says are key roadblocks to international digital trade.

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Countries Relax Tax Residency Rules for Cross-Border Workers

  • By Kiarra M. Strocko

The COVID-19 pandemic has raised tax residency concerns for individuals and businesseswith employeeswho have been forced to remain in foreign countries and could face unforeseen tax obligations because of government-mandated lockdowns.

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Takeaways From EU Commissioner of the Economys First Tax Policy Speech

  • By Rick Minor

In this article, the author considers the EU tax policy agenda outline laid out in the first tax policy speech ofPaolo Gentiloni, the new EU commissioner of the economy.

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U.K. Should Delay Digital Tax Amid Pandemic, Tech Group Says

  • By Stephanie Soong Johnston

The U.K. digital services tax might be in effect, but it should be suspended to give companies grapplingwith the COVID-19 crisis some relief, a tech trade group representative said.

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'Favorable' NOL Carryback Rules Apply to Deemed Repatriations

  • By Emily L. Foster

Multinational businesseswith prior years' deemed repatriation income maywant to take advantage of the special net operating loss carryback rules in the coronavirus stimulus package, a practitioner says.

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More Trade Groups Call for OECD Tax Overhaul Delay During Crisis

  • By Stephanie Soong Johnston

Two more industry groups are dialing up the volume on calls to their respective governments to delay the timeline of theOECD'swork on a global corporate tax overhaul in light of the coronavirus pandemic.

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Electing Out of Interest Limitation Changes Could Save on BEAT

  • By Stephanie Cumings

Not all taxpayerswillwant to take advantage of the changes to the interest deduction limitation in the latest round of coronavirus legislation, according to a practitioner.

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UK Seeks To Force Big Cos. To Report Uncertain Tax Positions

  • By Joseph Boris

The U.K. tax authority began seeking public input on a proposed rule to require large businesses to notify itwhen taking an uncertain tax position they believewill be challenged.

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HMRC Seeks Info On Effects Of OECD's Anti-Abuse Rules

  • By Alex M. Parker

HM Revenue & Customs issued a consultation to determinewhether new rules meant to prevent companies from manipulating differences in national tax systems may hit some legitimate lending relationships.

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UK Issues Guidance for Digital, Corporate Tax Overlap

  • By Natalie Olivio

The U.K. government published guidance to help multinational companies navigate placeswhere the country's digital services tax interactswith other corporate tax measures, including transfer pricing rules and similar digital levies overseas.

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OECD Faces Hard Deadline On Digital Taxes, Despite COVID

  • By Natalie Olivio

Tax officials from around theworld face immense pressure to negotiate an overhaul of the international tax system at the OECD by the end of the year, even as the coronavirus pandemic brings mostwork around theworld to a halt.

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US FDII is still too complex to claim, say companies

  • By Josh White

Taxpayers are having to go to "extreme lengths" to claim the foreign derived intangible income (FDII) deduction under US tax rules. One tax director at a medical device company talks to ITR about the challenges.

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Swedish Court Denies FLIR $200 Million Notional Tax Deduction

  • By Jacob K Markham

A Swedish court has ruled against thermal camera producerFLIR Systemsin a dispute concerning an intangible transfer to a Belgian branch, holding that the tax agency correctly denied a group subsidiary's notional tax deduction.

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India Expands Equalization Levy Net to Tax Foreign E-Commerce

  • By Stephanie Soong Johnston

Nonresident e-commerce operatorswill now have to pay a 2 percent tax on revenues from the sale of goods and services to Indian consumers, after the government broadened the scope of its equalization levy regime.

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CARES Act Has Negative Knock-On' Effects for International Tax

  • By Andrew Velarde

Practitioners are discovering that business-friendly changes to net operating losses and interest deduction limitations in legislation responding to the coronavirus economic crisis could also adversely affect multinationals because of interactionswith other international provisions.

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Helping Loss Companies: What Can Treasury Do?

  • By Mindy Herzfeld

Mindy Herzfeld examines U.S. Treasury options for alleviating the economic blowback of the coronavirus pandemic, questioningwhether further relief has been left on the table.

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Germany Introduces Long-Overdue R&D Tax Incentives

  • By Sven-Eric Barsch and Yannick Barbu

In this article, the authors discuss newly introduced research and development tax incentives in Germany, focusing on eligibility requirements, determination of tax relief, and international cooperation.

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Software Service Income Not Technical Service Fees, Court Say

  • By Annagabriella Colon

Payments to an Australian company for supplies of software services do not qualify as fees for technical services but should be further examined to determine if they qualify as royalties, theDelhi High Courtheld.

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Russian Coronavirus Relief Plan Could Threaten Tax Treaties

  • By Annagabriella Colon

Prime MinisterMikhailMishustin said Russia maywithdraw from its tax treatieswith specific countries that refuse to impose a 15 percent tax on individuals transferring their dividend income abroad.

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U.S. Group Pushes Delaying OECD Digital Tax Work Amid Pandemic

  • By Stephanie Soong Johnston

Treasuryshould postpone theOECD'swork on updating global corporate tax rules for the digital age as companies and governments continue grapplingwith the economic fallout of the coronavirus crisis, a major trade group said.

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