Article 29 Aug 2023 IRS Releases Proposed Regulations On Digital Asset Transaction Reporting United States Tax
Article 01 Feb 2022 Treasury Finalizes Foreign Tax Credit Regulations, Including Novel Jurisdictional Nexus (Attribution) Rule United States Tax
Article 13 Sep 2021 U.S. Tax Legislation Alert: Wyden Bill Proposes Major Changes To GILTI, Foreign Tax Credit And Other Rules United States Tax
Article 11 Dec 2019 Final And Proposed New BEAT Regulations Contain Important Changes United States Tax
Article 24 Oct 2019 IRS Issues Long-Awaited Cryptocurrency Guidance In Revenue Ruling 2019-24 And New FAQs United States Technology
Article 17 Jan 2019 Treasury And IRS Propose Welcome (And Some Unwelcome) Guidance On The Base Erosion And Anti-Abuse Tax United States Tax
Article 18 Dec 2018 The New Foreign Tax Credit Proposed Regulations – An Executive Summary United States Tax
Article 30 Mar 2016 U.S. Companies Leading M&A Surge Despite Treasury Action To Limit Transactional Options United States Commercial
Article 09 Apr 2015 AM 2015-01—Does Previously Taxed Income "Tier Up" To A Domestic Corporate Shareholder? United States Tax
Article 12 Dec 2014 Tax Alert: Commissionnaires And Other PE Structures Under Scrutiny As Part Of BEPS United States Tax
Article 15 Oct 2014 New Chief Counsel Memorandum Revisits Definition Of "Obligation" Under IRC Section 956 United States Tax