United States Tax News
U.S. Treasury List of International Boycott Countries Published
Ireland Relaxes Requirements for U.S. Residents Claiming Treaty Benefits for Interest and Royalty Payments
OECD and country officials discuss BEPS 2.0 Pillars One and Two and other OECD tax work
U.S. IRS Issues Notice on Further Deferral of QDP Reporting Under BEAT Regulation
US Supreme Court grants cert to hear FBAR penalty application case
U.S. IRS Practice Unit on Energy Efficient Commercial Buildings Deduction
New Hampshire Cutting Profits Tax Rate
Ways and Means Committee Republicans Urge Delay in Foreign Tax Credit Regs
Canadian Court Confirms Determination of Taxable Service Permanent Establishment May Span Different Tax Years Under U.S. Tax Treaty
McDonald's Settling Tax Dispute with French Tax Authority
EY Global Tax Controversy Flash Newsletter (Issue 47) | Cross-border tax controversy on the rise: transfer pricing trends in the life sciences sector
U.S. Court of Appeals Upholds Transition Tax on Undistributed CFC Earnings as Constitutional
Senate Finance Committee Hearing on Wayfair Decision on State Tax Collection for Online Sales
U.S. Congressional Research Service Publishes Report on Individual Capital Gains Tax Issues
IRS Wraps up 2022 "Dirty Dozen" Scams List with Bogus Tax Avoidance Strategies
IRS Warns Tax Professionals and Other Businesses of Dangerous Spear Phishing Attacks
IRS Warns Taxpayers of Text Message, Email, and Phone Scams
IRS Warns Taxpayers of Offer in Compromise (OIC) "Mills" for Settling Pending Tax Bills
India Income Tax Appellate Tribunal Holds Interest is Due on Refund of Tax Withheld in Error
IRS Warns of Continued Pandemic-Related Scams
Third Quarter Update to U.S. 2021-2022 Priority Guidance Plan Released
US Treasury Secretary Yellen faces questions from Senate Finance Committee; addresses BEPS 2.0
IRS Announces First Four "Dirty Dozen" Tax Scams for 2022
U.S. Representatives Introduce Legislation to Disallow FTCs and Other Tax Benefits for Companies Operating in Russia and Belarus
Implementation of Pillar 1 of the OECD Two-Pillar Solution for Global Tax Reform Likely Delayed to 2024
U.S. Interest Rates on Overpaid and Underpaid Tax Increased for Q3 2022
G7 Finance Ministers and Central Bank Governors Reiterate Commitment to OECD's Two-Pillar Solution
U.S. Treasury Secretary Yellen Urges Finalization and Implementation of Two-Pillar Solution for International Tax Reform
EY Global Tax Controversy Flash Newsletter (Issue 46) | Is your organization ready to meet growing global demands for tax governance?
U.S. Senators Introduce Legislation to Disallow FTCs and Other Tax Benefits for Companies Operating in Russia and Belarus
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