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Int'l Tax News

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New Zealand Signals Move Toward Digital Services Tax


New Zealandwill likely start consulting on a unilateral digital services tax by May, citing the OECD's slow progress in finding a long-term solution by 2020 to adapt international tax rules for the digital age.

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New Zealand plans new tax for giants like Google, Facebook


New Zealand's government announced plans on Monday for a new tax targeting online giants like Google and Facebook that earn plenty of money in the country but pay little tax.

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Practitioners Urge Action as Digital Tax Debate Continues


As countries continueworkingwithin the OECD framework toward a consensus-based solution to tax the increasingly digital economy, companies shouldn't be complacent because that debate could fundamentally change theway multinationals are taxed, practitionerswarned.

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Germany Studying Potential Royalty Withholding Tax on Online Ads


Germany's Finance Ministry confirmed a report that it is reviewingwhether a 15 percentwithholding tax on royalties can be applied to payments received by foreign internet companies like Google and Facebook for online advertising.

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OECD Digital Proposals Are Latest Threat to Arm's-Length Concept


All of the OECD's new proposals for taxing the digital economy ÔøΩ including the U.S.-favored marketing intangibles approach ÔøΩwould radically depart from the arm's-length principle, compounding growing international pressures on traditional transfer pricing principles.

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News Analysis: The OECD Consults on a New Tax World Order


A newworld order is emerging from the OECD base erosion and profit-shifting project and U.S. tax reform. Those efforts, combinedwith larger economic and political forces, have mostly laidwaste to the previous international tax regime.

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News Analysis: Consolidated Group Members Become Single Under GILTI


New proposed section 951A regulations provide guidance on how consolidated groups should compute their global intangible low-taxed income.while the crux of filing a consolidated return is treating the group as a single taxpayer for purposes of calculating and paying a single tax liability, the proposed regulations (REG 104390-18) combine single taxpayer treatmentwith single-entity calculations.

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News Analysis: Implementing Taxation of Foreign Sales of Partnership Interests


Lee A. Sheppard looks at how the Tax Court's decision in Grecian Magnesite remains relevant, even after the passage of the Tax Cuts and Jobs Act.

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Austria Introduces New CFC Rules


Austrian Minister of Finance Hartwig Loeger recently issued an ordinance on the application of the controlled foreign corporation tax regime. The ordinance, published in the official gazette on January 25, took effect January 1.

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OECD Provides Updates on Treaty Shopping, Dispute Resolution


Jurisdictions under the OECD's Inclusive Framework on Base Erosion and Profit Shifting areworking diligently on their treaty relationships and continue to make progress on timely and accessible dispute resolution mechanisms.

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Global Digital Tax Solution Might Strip Out B2B Transactions


Political pressures motivating some global digital tax discussions appear to originate principally from concernswith the business-to-consumer market, according to a U.S. Treasury official.

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U.S. Predicts 'Modest' Outcome of OECD Digital Economy Project


U.S. officials believe the OECD'swork on the digital economywill lead to a modest reallocation of taxing rights, most likely based on the marketing intangibles approach set out in the OECD discussion draft.

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U.S. Treasury Moving June Goal Posts on Some International Regs


Treasury appears to be hedging its bets on its June 22 goal for delivering several pieces of international guidance from the U.S. Tax Cuts and Jobs Act thatwould statutorily allow retroactivity for its rules.

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European Commission Loses Belgian State Aid Case


The European Commission failed to convince the EU General Court that Belgium's tax rulings exempting companies from tax on "excess profits" attributable to their being part of an international group constituted an illegal state aid scheme.

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Panama to Call Its EU Envoy for Consultations Over 'High Risk' List

  • By Reuters

Panama said onwednesday itwill call home its ambassador to the European Union for consultations over the renewed inclusion of the Central American tax-haven on a blacklist of countries that haveweak anti-money laundering and terrorist financing regimes.

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Belgium Tax Break for BP, Others, Upheld by EU Court

  • By Reuters

BP, BASF and more than 30 other multinationals stand to benefit after EU judges overturned an order demanding Belgium revoke a tax break. The European Commission failed to prove that the Belgian tax break constituted aid, said the ruling by the General Court, the lower branch of the Court of Justice in Luxembourg.

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U.S. Tax Revenues Fall, Deficit Widens in Wake of New Tax Law


Federal tax revenue declined 0.4% in 2018, the first full calendar year under the new tax law, despite robust economic growth and the lowest unemployment rate in nearly five decades.

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World's Tax Collectors Look to Divvy Up Tech Giants Billions


Theworld's tax collectors have been gunning for Silicon Valley. Now they're trying to figure out how to divide up the spoils. Onwednesday, The Organization for Economic Cooperation and Development began seeking public input on proposals, including one from the U.S., to determinewhere digital companies' profits should be allocated, and thereforewhich countries get to tax them.

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The OECD's four proposals to tax the digital economy


The leading proposal in the OECD's two-week consultation on four possible approaches to taxing the digital economy focuses on marketing intangibles, expanding the number of businesses that could fall under its scope.

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Germany Looks Into Tax Move on Foreign Internet Firms: Report


Germany's finance ministry is looking into the possibility of a 15 percent special tax on online advertising revenue collected by foreign internet companies such as Google or Facebook from German operators,wirtschaftswoche magazine reported on Friday.

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WSJ Tax Guide 2019: The Tax Cuts Economic Impact


President Trump and Republicans bet that the 2017 tax overhaulwould invigorate the U.S. economy after a long but slow expansion, putting controversial economic theories about growth to a crucial test. A broad measure of business investment surged early in 2018 but slowed in the second half of the year, in part reflecting changes in energy prices. Shipments of capital goods tailed off after rising briskly early in the year.

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Businesses Welcome Int'l Push For Digital Tax Solution

  • By Ulrika Lomas

Businesses havewelcomed confirmation from the OECD that countries have committed to a seek an international agreement on the taxation of the digital economy, rather than pursue unilateral measures.

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Mediolanum Takes $102.5 Million Hit From Italian Tax Settlement


Italy's Banca Mediolanum S.p.A. said its net profit for 2018was reduced by ÔøΩ102.5 million because of extraordinary costs related to the settlement of a tax dispute involving the banking group's Irish unit.

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EU Money Laundering Blacklist Contains U.S. Territories


Four U.S. territories ÔøΩ Guam, American Samoa, U.S. Virgin Islands, and Puerto Rico ÔøΩ have been blacklisted by the European Commission for being lax on money laundering and terrorist financing controls.

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IRS Silent Amid Claims That GILTI Regs Skirt Legislative Intent


For the second time in as many hearings on key international provisions from the U.S. Tax Cuts and Jobs Act, government officials sat in silence as tax experts launched critiques on proposed guidance.

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OECD Tax Proposals Tackling Digital Economy Draw Mixed Reactions


A new OECD discussion draft containing more detailed proposals to address the tax challenges of the digital economy is drawing diverse responses from the tax community, setting the stage for lively debates in Paris.

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U.S. Cannot Underestimate Global Reaction to TCJA, Prater Says


Legislative revisions to the Tax Cuts and Jobs Actwill depend on internal and external policy pressures, including the response from U.S. trading partners, according to a former Senate Finance Committee staffer.

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EU Divided Over Scope of QMV for Tax Issues


EU finance ministers at a February 12 meeting of the Economic and Financial Affairs Councilwere divided over the European Commission's communication on the possibility of moving toward qualified majority voting (QMV) on tax issues.

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Carbon tax 'dividends' open a Pandora's box of problems


Carbon tax advocates recently received a huge boost from awide group of famous economistswho signed a letter supporting a carbon tax that sends revenues directly to citizens and shrinks redundant environmental regulation. A tax of $40 per ton is estimated to generate $2,000 in the first year for a family of four and rebateswould risewith tax rates. Signers include previous chairs of the Council of Economic Advisors and of the Federal Reserve and countless Nobel laureates.

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States Face Political Hurdles In Seeking Foreign Income


Recent bills in Montana and Oregon thatwould require multinationals to report their global profits present a legally sound option for recouping tax revenue from overseas, but the method has a history of foreign resistance that could remain a challenge.

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Foreign Trade Group Seeks Changes to Proposed GILTI Regs

  • By The National Foreign Trade Council

The National Foreign Trade Council has asked that proposed global intangible low-taxed income regulations (REG-104390-18) include a GILTI high-tax exception, eliminate the basis adjustment rule, narrow the anti-abuse rule, amend the effective date, and clarify that section 245A applies to subpart F dividend income received by domestic corporations and controlled foreign corporations.

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Idaho Adopts Temporary Rule on Repatriated Dividend Income, GILTI

  • By The Idaho State Tax Commission

The Idaho State Tax Commission adopted a temporary rule that allows taxpayers to exclude repatriated dividend income if the taxpayer can prove that the incomewas previously included in Idaho apportionable income in a prior tax year, and that clarifies the state's treatment of global intangible low-taxed income.

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New York's Formal GILTI Guidance Confirms Practitioners' Speculations


The New York state tax department's recent guidance on global intangible low-taxed income includes factor relief for some corporations, confirmingwhat some practitioners thought the agencywould do.

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Majority Voting on EU Tax Laws Could Be Headed for Defeat


A European proposal to require tax laws to be passed by a majority vote, rather than through unanimous consent, could be derailed by small member nations at a Feb. 12 meeting.

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Hedge Funds Bask in Puerto Rico Bond Deal


A small group of hedge funds are being rewarded for backing an $18 billion restructuring of Puerto Rico's sales-tax debt that saddled other investorswith losses.

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India plans to drop significant economic presence rule and equalisation levy


Indiawill abandon its significant economic presence (SEP) rule and drop the equalisation levy once OECD members come to an agreement on how to tax the digital economy, a leading government figure has said. But taxpayerswant clarity on SEP thresholds now.

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What Austria's platform VAT law says about the digital tax conversation


A package proposed by the Austrian government includes a reform to platforms' VAT obligations, mirroring the UK's and Germany's laws. Butwith the EU poised to act in 2021,why is Austria bothering to move in 2020?

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TEI Comments on Proposed Foreign Tax Credit Regs

  • By Tax Executives Institute Inc.

Tax Executives Institute Inc. has commented on proposed foreign tax credit regulations (REG-105600-18), addressing clarifications under the regs on how deductions are allocated and apportioned and special rules for determining the amount of business profits attributable to a qualified business unit for foreign branch income purposes.

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New York Tax Department Issues GILTI Guidance for Corporate Taxpayers

  • By The New York State Department of Taxation and Finance

The New York State Department of Taxation and Finance has issued a technical memorandum explaining the effects on businesses of the new provisions under the federal Tax Cuts and Jobs Act that address income earned from overseas operations, including mandatory deemed repatriation income, foreign-derived intangible income, and global intangible low-taxed income.

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Kansas Senate Approves GILTI, Deferred Income Exemption


A Kansas measure to exempt global intangible low-taxed income and deferred foreign income from state taxationwas approved by the state Senate.

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Sale of Stock Subject to French Transfer Pricing Rules


The French Council of State has upheld a transfer pricing adjustment to the sales price of a subsidiary's shares, holding that sale of a subsidiary's stock for nominal consideration is an indirect transfer of profit.

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French Bills Would Expand Exit Tax, Financial Transaction Tax


Proposals submitted to France's National Assemblywould assess financial transaction tax on intraday trading and extend the holding period for exemption from exit tax, thereby undoing recent changes limiting the reach of the regime.

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News Analysis: Consolidated Groups Wrestling With the BEAT


Corporations that elect to file a single consolidated tax return must take into consideration the effect of the Tax Cuts and Jobs Act's base erosion and antiabuse tax. Under section 59A, the BEAT is imposed on corporations having substantial gross receipts that make base erosion payments, or payments to foreign related parties. New proposed regulations (REG-104259-18) address how the BEAT applies to these consolidated groups.

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EU Digital Tax Regimes Are Discriminatory, Grassley Says

  • By Tax Analysts

A proposal by the European Commission to impose a 3 percent digital services tax on multinational companies' revenue is discriminatory, likely to lead to double taxation, andwould create a new transatlantic trade barrier, Senate Finance Committee Chair Chuck Grassley, R-Iowa, said in a February 7 floor statement.

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S. 223 Would Establish Patriot Employer Tax Credit

  • By Tax Analysts

S. 223, the Patriot Employer Tax Credit Act, introduced by Senate Democraticwhip Richard J. Durbin of Illinois,would allow a tax credit of up to $15,000 per employee to "patriot" companies that maintain U.S. headquarters and meetwage and benefit requirements.

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Report Promotes Soda Taxes for World Health


Taxes on unhealthy foods ÔøΩ and the political support required to implement them ÔøΩ have important roles to play in the fight against several global pandemics, according to a Lancet Commission report.

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Trump Tax Law Spurs Job Creation...for Tax Lawyers and Accountants


In 2017, Congress passed the Tax Cuts and Jobs Act. Many of the jobs it is creating, it turns out, are in the tax industry. The overhaul continues to generate thousands of jobs for tax professionals as companies analyze the law, restructure operations and rely on tax experts to do all thework flowing from the legislation and IRS regulations, according to lawyers and executives at tax firms. Business is unusually strong and should remain robust for years as a result of the law, they say.

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German Industry Blasts Multinational Tax Avoidance Report


A report claiming that multinational tax avoidance cost EU governments 825 billion euros ($940 billion) in 2015 relied on outdated data and didn't take into consideration the European Union's Anti-Tax Avoidance Directive, according to a German business group.

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Credit Suisse Warns Higher Tax to Hit Results After U.S. Changes


Credit Suisse Group AG, Switzerland's second-largest bank, said its earnings last yearwill probably be subject to higher taxes than the bank had assumed because of changes in the U.S.

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Banks' $21 Billion Tax Windfall Doesn't Stop Their Job Cuts


Major U.S. banks shaved about $21 billion from their tax bills last year ÔøΩ almost double the IRS's annual budget ÔøΩ as the industry benefited more than many others from the Republican tax overhaul.

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