United States Tax News
U.S.-Chile tax treaty advances toward ratification
IRS Grants Estimated Tax Penalty Relief in Relation to New Corporate Alternative Minimum Tax
TIEA between Ecuador and the U.S. in Force
Nebraska Accelerating Business Income Tax Cuts Including Single Flat Rate
U.S. Senate Foreign Relations Committee Approves Tax Treaty with Chile
US Senate committee approves tax convention with Chile; vote by full Senate is next
U.S. IRS Reminds Taxpayers Living and Working Abroad of 15 June Return Deadline
U.S. Bill Would Create a Reciprocal Tax on Any Foreign Country that Imposes Unfair Taxes Under the OECD's Global Tax Deal
IMF Staff Concluding Statement of the 2023 Article IV Mission for the U.S. Including Potential Policies to Address Fiscal Imbalances
U.S. Representatives Introduce Bipartisan Resolution Calling for Legislation to Avoid Double Taxation Between the U.S. and Taiwan
Implementing Arrangement for U.S. FATCA Agreement with Argentina
United States | IRS GLAM concludes that the regularly-traded-stock-exception test under IRC Section 897(c)(3) applies at partnership level
G7 Leaders Re-Emphasize Commitment to Implementation of Two-Pillar Solution
U.S. Interest Rates on Overpaid and Underpaid Tax Unchanged for Q3 2023
Maryland Comptroller of Taxes Reissues Tax Alert on Digital Advertising Tax Return Following State Supreme Court Order
U.S. IRS to Launch Free Direct File Pilot Project in 2024
U.S. Chamber of Commerce Supports Bills Reinstating EBITDA-Based Interest Deduction Restriction
ATO Publishes Revised Ruling on the Right to Tax Interest Income of Financial Institutions Under U.S. and UK Tax Treaties
U.S. Senate Close to Vote on Tax Treaty with Chile
EY Global Tax Controversy Flash Newsletter (Issue 58) | New global survey from EY highlights business concerns on the outlook for tax audits and disputes
Maryland Supreme Court Reverses Lower Court Ruling that Digital Advertising Tax is Unconstitutional
G7 Finance Ministers Confirm Commitment to Implementation of Two-Pillar Solution
U.S. Senator Wyden Releases New Findings in Ongoing Pharma Tax Investigation
Bipartisan, Bicameral Effort to Extend U.S. Tax Preferences to Taiwan
Germany Announces Entry into Force of CbC Exchange Agreement with U.S.
U.S. Treasury List of International Boycott Countries Published
PE Watch | Latest developments and trends, May 2023
Israel and U.S. Likely to Sign New Tax Treaty
U.S. IRS and Treasury Invite Recommendations for 2023-2024 Priority Guidance Plan
United States | Proposed regulations would turn off IRC Section 367(d) following certain repatriations of IP
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