Mondaq USA: Tax > Corporate Tax
Womble Bond Dickinson
Rick Minor has been a European policy player for more than two decades. He has frequently published articles containing his unique insights on tax policy in the European Union.
Hill, Barth & King LLC
The Pennsylvania Department of Revenue (DOR) has issued tax bulletins that impact the way hedging transactions and those associate with certain intangible income are taxed.
Dentons
The Treasury Department and IRS invite taxpayers to submit comments on the proposed regulations on or before May 6, 2019.
Ruchelman PLLC
Federal tax law has introduced a new type of gross income. The provisions applicable to Global Intangible Low Tax Income ("G.I.L.T.I.") are designed to stop U.S.
Eisner Amper
On March 4, 2019, the U.S. Treasury issued proposed regulations to determine deductions provided by IRC Sec. 250 related to global intangible low tax income ("GILTI") and foreign derived intangible income ("FDII").
Dentons
Globalization has diminished the barriers encountered by multinational businesses.
Day Pitney LLP
On April 17, the IRS issued proposed regulations that provide new guidance for investors seeking to invest in qualified opportunity funds (each, a QOF), a new investment program designed to incentivize long-term investment ...
Womble Bond Dickinson
US Treasury has now published detailed guidance on a significant US corporate tax rate benefit for any US company that conducts direct sales of property and/or services to foreign persons for foreign
Foley & Lardner
Attention tax-exempt entity employers: Starting with tax filings this year (for your taxable year that began in 2018) ...
Lowndes, Drosdick, Doster, Kantor & Reed, P.A.
As I previously discussed (here), the federal tax due date for partnership and corporate tax returns changed a few years ago.
Moodys Gartner Tax Law LLP
One of the many goals of US tax reform implemented by the Tax Cuts and Jobs Act of 2017 ("The Act") was to incentivize large multi-national enterprises that were perceived to be storing profits
Davies Ward Phillips & Vineberg
U.S. taxpayers will remember 2018 as the year spent coming to terms with the tax reform legislation enacted at the end of 2017, known as the Tax Cuts and Jobs Act (TCJA).
Holland & Knight
The U.S. Department of the Treasury on March 4, 2019, released proposed regulations (the Proposed Regulations) dealing with the application of the recent U.S. tax reform to U.S. shareholders of a CFC.
Akin Gump Strauss Hauer & Feld LLP
On 17 January 2019, sufficient signatures were filed requesting a referendum on the Federal Act on Tax Reform and AHV Financing (TRAF).
Duane Morris LLP
Fulfilling one of his campaign promises only a month into his administration, on February 19, 2019, Governor J.B. Pritzker signed a bill that will raise the Illinois minimum wage rate ...
Duff and Phelps
Duff & Phelps goes beyond historical measures of ERP by examining approaches that are sensitive to the current economic and financial market conditions.
Jones Day
Worldwide combined reporting is not new to Illinois.
McLane Middleton, Professional Association
Q: I recently started a new business in New Hampshire. What is the best way to set up my business that is simple, yet enables me to grow the business in the future?
TMF Group
Muitas regulações, leis e decretos de reformas fiscais passaram a valer em 2018 em países em toda a região das Américas, com ainda mais mudanças chegando em 2019.
TMF Group
Muchas regulaciones, leyes y proyectos de ley de las reformas tributarias entraron en vigencia en 2018 en los países de Las Américas, y 2019 traerá más cambios.
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Lowndes, Drosdick, Doster, Kantor & Reed, P.A.
As I previously discussed (here), the federal tax due date for partnership and corporate tax returns changed a few years ago.
Day Pitney LLP
On April 17, the IRS issued proposed regulations that provide new guidance for investors seeking to invest in qualified opportunity funds (each, a QOF), a new investment program designed to incentivize long-term investment ...
Eisner Amper
On March 4, 2019, the U.S. Treasury issued proposed regulations to determine deductions provided by IRC Sec. 250 related to global intangible low tax income ("GILTI") and foreign derived intangible income ("FDII").
Dentons
Globalization has diminished the barriers encountered by multinational businesses.
Ruchelman PLLC
The 2017 Tax Cuts and Jobs Act ("T.C.J.A.") introduced a new anti-abuse tax regime applicable to controlled foreign corporations ("C.F.C.'s").
Stroock & Stroock & Lavan LLP
The tax reform legislation of December 2017 added new provisions offering tax benefits to investors reinvesting taxable gain into designated Qualified Opportunity Zones
Ruchelman PLLC
Like most assets developed, used, and sold in business, intellectual property (IP) is subject to important tax considerations.
Womble Bond Dickinson
Rick Minor has been a European policy player for more than two decades. He has frequently published articles containing his unique insights on tax policy in the European Union.
Moodys Gartner Tax Law LLP
One of the many goals of US tax reform implemented by the Tax Cuts and Jobs Act of 2017 ("The Act") was to incentivize large multi-national enterprises that were perceived to be storing profits
Foley & Lardner
Private equity firms entered 2018 amid a confusing mix of record inflows and elevated prices. At the same time ...
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