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Searching Content indexed under Tax Treaties by Grant Thornton LLP ordered by Published Date Descending.
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United States
6 Jul 2017
2
IRS Issues Final Regulations On PFICs
The IRS and Treasury published final regulations (T.D. 9806) that provide guidance on determining ownership of a passive foreign investment company (PFIC)...
United States
30 Jan 2017
3
U.S. Competent Authority's Denial Of Discretionary Treaty Benefits Is Subject To Judicial Review
The U.S. District Court for the District of Columbia on Sept. 18 rejected the government's claim that federal courts do not have judicial oversight regarding the U.S. competent authority's (USCA's)...
United States
3 Nov 2015
4
Treasury Releases Draft Revisions To The U.S. Model Treaty
Treasury has stated that a large impetus for the proposed changes was to address base erosion and profit shifting by multinational companies.
United States
8 Jun 2015
5
International Fuel Tax Agreement Proposed Amendments Would Change Audit Procedures And Program Compliance Peer Review
There are currently four proposals to amend the International Fuel Tax Agreement, which are intended to promote an increase in compliance.
United States
30 May 2014
6
Specified 1603 Energy Grant Applications Due Sept. 30, 2012
Taxpayers planning to claim Section 1603 cash grants in lieu of the Section 45 production credit or Section 48 investment credit for certain alternative energy property must file an application no later than Sept. 30, 2012, whether or not the property has been placed in service.
United States
27 Sep 2012
7
Cross-Border Mergers & Acquisitions Update (CPE Credit: 1.5)
Please join us for our webcast Cross-border mergers & acquisitions update for a discussion on recent guidance issued by the IRS and Treasury Department in the cross-border mergers and acquisitions (M&A) area.Joe Calianno, Grant Thornton’s International Technical Tax practice leader, will be joined by Brenda Zent, international tax specialist in the U.S. Department of the Treasury’s Office of International Tax Counsel, as presenters for this event.
United States
15 Aug 2012
8
New York State Tax Appeals Tribunal Finds Passive Ownership Interest In Partnership Doing Business In State Creates Nexus
The New York State Tax Appeals Tribunal has held that out-of-state corporations that had passive ownership of a partnership conducting business in the state had nexus for purposes of New York corporation franchise tax.
United States
22 Nov 2010
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