Article 25 Aug 2026 IRS Issues Proposed Regulations Excluding Income From Certain Property Sales From FDDEI Under Section 250(b)(3)(A)(i)(VII) United States Tax
Article 05 Aug 2026 Proposed Regulations Address CFC Taxable Year And Partial FTC Disallowance On PTEP Distributions United States Tax
Article 09 Jul 2026 How Reforms To Global Minimum Tax Standards Could Impact Dealmaking United Kingdom Tax
Article 09 Jan 2026 The Side-by-side Package And The Global Minimum Tax: What You Need To Know United States Tax
Article 23 Dec 2025 Final And Proposed Regulations Under Section 892—key Developments For Sovereign Investors United States Tax
Article 01 Dec 2025 Summary Of The Final Regulations On The Excise Tax Under Section 4501 United States Commercial
Article 26 Jun 2025 Proposed Section 899: Analysis Of Both The House And Senate Bills United States Tax
Article 15 May 2025 House Ways And Means Committee Releases Draft Tax Amendments For 2025 Reconciliation Bill United States Tax
Article 30 Jan 2025 Trump And House Republicans Take Aim At The Global Minimum Tax And Domestic Tax Measures Worldwide Tax
Article 27 Jan 2025 Proposed Regulations Provide Guidance Regarding Certain Aspects Of Spinoffs And Reorganizations Kazakhstan Tax
Article 05 Dec 2024 Treasury And The IRS Proposed Regulations On Previously Taxed Earnings And Profits United States Commercial
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 29 May 2023 Tax Court Agrees Profits Interest Safe Harbor Should Apply To Tiered Partnership Structure United States Tax