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Dickinson Wright PLLC
The Taxpayer Certainty and Disaster Tax Relief Act of 2019 (the "Relief Act") has retroactively repealed a provision known as the "parking lot tax."
Mayer Brown
On February 6, 2020, Russell Nance, Steven Garden and Brennan Young presented an overview of the proposed regulations addressing the US federal tax...
Groom Law Group
In December, the IRS/Treasury ("IRS") published final rules addressing how employers that fund health and welfare benefits through a VEBA...
As business becomes more global, tax authorities worldwide are strengthening compliance regulations, raising fines and demanding more information from corporations that do business internationally.
Mayer Brown
The US Internal Revenue Service has released a Chief Counsel Memorandum in which it struck down a financial institution's attempt to deduct costs incurred in gathering assets to be held in a securitization structure.
Kirkland & Ellis International LLP
Fifteen members of the U.S. House of Representatives sent a letter to the U.S. Department of the Treasury in December urging it to release guidance for carbon capture projects under section 45Q of the tax code.
Dickinson Wright PLLC
The IRS requires all Forms 1023 (Applications for Recognition of Exemption Under 501(c)(3)) to be filed electronically through as of January 31, 2020.
Womble Bond Dickinson
The South Carolina Department of Revenue has released the 2020 county tier rankings for all South Carolina counties.
Mayer Brown
On October 8, 2019, the US Internal Revenue Service released proposed regulations addressing the US federal tax consequences of replacing an interbank offered rate (IBOR)
Ropes & Gray LLP
Microsoft Ruling Highlights Need To Document Biz Decisions.
Ropes & Gray LLP
In Tax Notes Federal, Bob Kane Examines QSub Dispositions.
Pillsbury Winthrop Shaw Pittman LLP
The saga continues in Arizona v. California, Arizona's U.S. Supreme Court challenge of California's tax reach, but signs are strong it may be ending soon.
Stites & Harbison PLLC
On December 19, 2019, nearly two years to the day since the enactment of the Opportunity Zones legislation (Pub. L 115-97), the U.S. Treasury Department
Holland & Knight
For some time, "tax affecting" the earnings of a pass-through entity (PTE) by the U.S. Tax Court has been disallowed in the valuation of PTEs for federal tax purposes.
DLA Piper
On January 31, 2020 the OECD published an update statement (the Statement) on the Digital Tax Initiative, highlighting progress on the scope of the new taxation rights...
Москва, 3 февраля 2020 года — Лидия Чарикова присоединилась к российской налоговой и там
Bowditch & Dewey
The 116th Congress has extended the current federal excise tax (FET) rates for breweries for one year (2020). Those rates, which were recalibrated lower in 2018, were slated to increase—in most...
Cadwalader, Wickersham & Taft LLP
Under the controlled foreign corporation (CFC) rules of the tax code, taxpayers may be subject to adverse tax consequences, including "phantom income" inclusions, if they are 10% United States shareholders in a CFC.
Mayer Brown
Bylined article by Tax partner Shawn R. O'Brien (Houston), senior advisor Warren S. Payne (Washington DC) and associate Maria C. Critelli was published by Bloomberg Tax.
Hogan Lovells
Driven by ever-advancing technologies, today's multinationals need to quickly adapt to new ways of doing business — a process that can often leave them more vulnerable to risk including tax and transfer pricing, ...
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