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Searching Content indexed under Tax Treaties by Ropes & Gray LLP ordered by Published Date Descending.
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1
Overview Of Spring Term 2019 Supreme Court Tax Decisions
In its 2019 Spring Term, the Supreme Court published five decisions regarding tax matters, three of which limit states' taxing authority.
United States
17 Jul 2019
2
The Danish Conduit Cases: A Landmark Ruling On Withholding Tax And Abuse Of Rights
In an alarming development for some private equity funds, the Court of Justice of the European Union (the CJEU) has issued two judgments in the combined N Luxembourg 1 (Case C-115/16),
United States
11 Apr 2019
3
Tax Issues On Private Equity Transactions
The term ‘private equity' is defined by the British Private Equity and Venture Capital Association as ‘any medium to long term finance provided in return for an equity stake in potentially high
United States
27 Feb 2019
4
Podcast: Credit Funds: Withholding Tax On European Investments
In this podcast, Brenda Coleman and Andy Howard discuss strategies for credit fund managers to address interest withholding tax issues on European investments in light of a complex and changing landscape.
European Union
27 Feb 2019
5
Trending Video: New Anti-Abuse Tax Provisions (Video)
Hi, I'm Kat Gregor, and I am a tax partner in Ropes and Gray's Boston office.
United States
3 Dec 2018
6
New Anti-Abuse Tax Provisions (Video)
Kat Saunders Gregor, Ropes & Gray tax partner and co-founder of the tax controversy group, examines the influx of new anti-abuse provisions around the world.
United States
26 Nov 2018
7
BEPS Penalty Fallout
In a recent Tax Notes article, the author addresses a recent IBA conference panel focused on OECD's implementation of the base erosion and profit-shifting (BEPS) program.
United States
9 Nov 2018
8
Podcast: Credit Funds: The Benefits, Challenges And Applications Of Treaty Fund Structures When Investing In Credit
In this podcast, Laurel FitzPatrick, Adam Greenwood and Jim Brown discuss the tax considerations applicable to non-US investors investing in funds that invest in credit and debt instruments.
United States
24 Sep 2018
9
How IRS Is Targeting Offshore Accounts, Virtual Currency
Despite continuing Internal Revenue Service budget cuts over the last several years and significant attrition among its most experienced special agents...
United States
8 Feb 2018
10
Obama Budget Proposes Further Restrictions On Corporate Expatriations And Limits On Deductibility Of Interest Paid To Foreign Parent
President Obama’s budget proposal provides further restrictions on domestic corporations expatriating through corporate inversion transactions.
United States
10 Apr 2014
11
December 31 Deadline For Correcting Release Of Claims Provisions That Fail To Comply With Section 409A
Employers preparing for year-end compliance efforts should be aware of a December 31, 2012 deadline for correcting a common problem in compensation arrangements subject to Section 409A of the Internal Revenue Code.
United States
26 Oct 2012
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