Article 13 Aug 2024 Proposed Dual Consolidated Loss Regulations Would Disallow U.S. Tax Use Of Foreign Losses Viewed As Reducing Pillar Two Tax Liabilities United States Tax
Article 18 Jan 2024 IRS Indefinitely Extends Use Of Electronic Signatures For Section 83(B) Elections United States Tax
Article 18 Jan 2024 Notice 2023-80 Announces FTC And DCL Guidance For Pillar Two Taxes United States Tax
Article 17 Jan 2024 Notice 2024-10 Provides Interim Guidance On The Application Of The Camt With Respect To Controlled Foreign Corporations And Consolidated Groups United States Commercial
Article 27 Jul 2023 Toyota Motor Corporation's $1.5 Billion SEC-Registered Offering Of Sustainability Bonds United States Commercial
Article 29 May 2023 Tax Court Agrees Profits Interest Safe Harbor Should Apply To Tiered Partnership Structure United States Tax
Article 17 Apr 2023 Funding Rule Under Notice 2023-2 Expands The Scope Of The Stock Buyback Excise Tax To Repurchases Of Stock Of Many Foreign Corporations United States Tax
Article 15 Aug 2022 Inflation Reduction Act: Key Green And Blue Hydrogen And CCUS Provisions United States Energy