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Cadwalader, Wickersham & Taft LLP
On 18 February, 2020, the Council of the European Union (the "EU Council") added the Cayman Islands to the EU's official list of non-cooperative jurisdictions, ...
Ropes & Gray LLP
Digital Taxation - Implications for EU Technology Companies.
United States
Withers LLP
Click here to read more insights on how we can weather the coronavirus outbreak with you.
Vistra
Tax treaties are a critical part of the global economy.
Ropes & Gray LLP
•International Tax Review: Leading Women in Tax Forum: Ropes & Gray is a sponsor of the ITR: Leading Women in Tax Forum on March 3 in New York,...
Mayer Brown
On January 31, 2020, the OECD reported significant steps in advancing Pillar One, its approach for the taxation of the digital economy.
Dentons
On January 31, 2020, the OECD/G20 Inclusive Framework on BEPS released an update on its efforts to effect major changes in international tax rules.
Gibson, Dunn & Crutcher
The United Kingdom's withdrawal from the European Union could have a significant effect on international and U.K. domestic taxation. It will likely impact aspects of the United Kingdom's value
Vistra
Sending employees on temporary assignment to a foreign country without incurring host-country income taxes once seemed a simple matter for multinationals. But it's not so simple anymore.
Cadwalader, Wickersham & Taft LLP
Investor appetite for direct lending has remained consistently strong in recent years.
Ruchelman PLLC
When asking a U.S. tax adviser to describe the "revenue rule," it would not be surprising for the adviser to say that it refers to formal guidance issued by the I.R.S. that can be relied on by other taxpayers as authority for a position taken in a tax return.
Ruchelman PLLC
This month finds the arm's length principle continuing to operate among O.E.C.D. Member States and the broader inclusive framework working toward international tax reform of the digitized economy.
Duff and Phelps
In October 2015, the Organization for Economic Cooperation and Development (OECD) finalized its report titled Action 14: Making Dispute Resolution Mechanisms More Effective.
Davies Ward Phillips & Vineberg
Traditionally, taxing jurisdiction has developed on a country-by-country basis.
Cadwalader, Wickersham & Taft LLP
On October 8, 2019, the Treasury Department and IRS issued proposed regulations confirming that transitions from LIBOR and other interbank offered rates (IBORs)
Withers LLP
Several recent rulings concerning the tax exemption applicable to institutional investors into Italian real estate investment funds ("*REIFs*")
BakerHostetler
Below is the Federal Policy team's weekly preview, posted when Congress is in session
Ruchelman PLLC
Prior to 2018, widely-used tax plans of U.S.-based multinational groups were designed to achieve three basic goals in connection with European operations:
Ropes & Gray LLP
In its 2019 Spring Term, the Supreme Court published five decisions regarding tax matters, three of which limit states' taxing authority.
Withers LLP
The protocol amending the United States Tax Treaty with Switzerland has been ratified by the United States and began to take effect as of 20 September 2019.
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