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The new directive is designed to improve the EU’s system for resolving disagreements between EU member states over the interpretation of agreements for eliminating double taxation.
The US government has signed its first agreement with a foreign country to automatically exchange information on multinational companies’ income and taxes paid.
The EU Parliament voted to amend the EU’s anti-tax-avoidance directive to prevent multinational corporations from using differences between EU rules and third countries to deduct the same expenses twice.
The White House issued US President Donald Trump’s goals and key features for tax reform, including slashed corporate tax rates, flattened individual marginal income tax brackets, and repeal of the estate and alternative minimum taxes.
The US Internal Revenue Service (IRS) acted in an arbitrary, capricious, and unreasonable manner when it applied a discounted-cash-flow method to a cost-sharing arrangement that Amazon.com made with its Luxembourg subsidiary.
Regular changes to the UK’s fiscal policy create a burden for the nation’s businesses and hinders long-term planning, according to research commissioned by CIMA.
The transfer of 600 General Electric workers helps the Big Four firm grow its international expertise at a time when global tax strategy is growing in importance.
The Internal Revenue Service issued guidance prohibiting corporations from taking foreign tax credits for taxes without repatriating the earnings to the United States.
Find out how multinational companies in dozens of countries are getting ready for radically new cross-border tax and transfer-pricing reporting rules. Tax authorities will accept submissions that comply with the new rules starting January 1st.
The Organisation for Economic Co-operation and Development (OECD) and the US Internal Revenue Service (IRS) separately issued guidance regarding the new requirement for multinational companies to report income and taxes paid on a country-by-country basis.
Multinational companies operating in the EU would be required to report to the EU member state in which the parent entity is tax resident, information on where they make their profits and where they pay tax.
US disregarded entities owned by foreign persons would be treated as domestic corporations under regulations proposed by the US Internal Revenue Service.
A US district court in Ohio dismissed a challenge by US Sen. Rand Paul and several other plaintiffs seeking declaratory and injunctive relief against enforcement of the US Foreign Account Tax Compliance Act.
The European Commission issued proposed rules that would require multinational companies operating in the EU to report information on where they make their profits and where they pay tax.
The US tax authority, the Internal Revenue Service, issued a package of proposed and temporary regulations designed to reduce the tax benefits and incentives for corporate inversions.