Mondaq USA: Tax > Corporate Tax
Shearman & Sterling LLP
In 2018, the European Commission (EC) concluded two more investigations into whether the tax ruling practices of Member States breached European Union (EU) State aid rules:
Blue J Legal
As a result, U.S. residents are required to report income earned by controlled foreign corporations, subject to various exclusions.
Morrison & Foerster LLP
After three non-precedential Administrative Law Judge decisions—and well after the statute in question has been replaced by new apportionment rules
Shipman & Goodwin LLP
Individual taxpayers also will experience an increase in their Connecticut tax liability.
Holland & Knight
Qualified employees only include those who are residents of Connecticut.
Fenwick & West LLP
Since the 2017 tax act enacted the new §163(j) limitation on interest deductions, multinationals have been asking whether the limitation applies to controlled foreign
Mayer Brown
In a rare challenge involving the US Constitution's Supremacy Clause, Mayer Brown lawyers successfully argued that New Jersey's Corporate Business Tax alternative minimum assessment has been unconstitutional since 2006.
Gibson, Dunn & Crutcher
This webcast brings together a diverse panel of professionals in electric utility tax issues to discuss the impact of the 2017 Federal Tax Cuts and Jobs Act ("TCJA") on electric utilities
Morrison & Foerster LLP
The New York State Legislature has passed, and New York Governor Cuomo has now signed, legislation which provides for the exclusion of 95%
Ruchelman PLLC
This article looks into some important tax considerations for an individual planning to start a U.S. business.
Duff and Phelps
The Spring 2019 unclaimed property reporting season is nearing an end. Michigan and Texas remain the only states with July 31, 2019 filing dates.
Eide Bailly LLP
The TCJA was signed into law in December 2017, and since then, tax advisors, attorneys and other professionals spent the winter scrambling to learn the details of the new code and how it impacts their clients.
Eide Bailly LLP
Oregon recently signed a new law effective January 1, 2020, allowing the state of Oregon to collect a Corporate Activity Tax (CAT).
Morrison & Foerster LLP
On April 12, 2019, Governor Andrew M. Cuomo signed into law the New York State Budget Bill for the State's 2019-20 fiscal year, which began on April 1, 2019. (S. 1509-C. A. 2009-C.)
Hill, Barth & King LLC
The Pennsylvania Department of Revenue (DOR) has issued tax bulletins that impact the way hedging transactions and those associate with certain intangible income are taxed.
Dentons
The Treasury Department and IRS invite taxpayers to submit comments on the proposed regulations on or before May 6, 2019.
Ruchelman PLLC
Federal tax law has introduced a new type of gross income. The provisions applicable to Global Intangible Low Tax Income ("G.I.L.T.I.") are designed to stop U.S.
Dentons
Globalization has diminished the barriers encountered by multinational businesses.
Day Pitney LLP
On April 17, the IRS issued proposed regulations that provide new guidance for investors seeking to invest in qualified opportunity funds (each, a QOF), a new investment program designed to incentivize long-term investment ...
Womble Bond Dickinson
US Treasury has now published detailed guidance on a significant US corporate tax rate benefit for any US company that conducts direct sales of property and/or services to foreign persons for foreign
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Shearman & Sterling LLP
In 2018, the European Commission (EC) concluded two more investigations into whether the tax ruling practices of Member States breached European Union (EU) State aid rules:
Morrison & Foerster LLP
After three non-precedential Administrative Law Judge decisions—and well after the statute in question has been replaced by new apportionment rules
Blue J Legal
As a result, U.S. residents are required to report income earned by controlled foreign corporations, subject to various exclusions.
Ruchelman PLLC
The 2017 Tax Cuts and Jobs Act ("T.C.J.A.") introduced a new anti-abuse tax regime applicable to controlled foreign corporations ("C.F.C.'s").
Ruchelman PLLC
Federal tax law has introduced a new type of gross income. The provisions applicable to Global Intangible Low Tax Income ("G.I.L.T.I.") are designed to stop U.S.
Foley & Lardner
Private equity firms entered 2018 amid a confusing mix of record inflows and elevated prices. At the same time ...
Hill, Barth & King LLC
The Pennsylvania Department of Revenue (DOR) has issued tax bulletins that impact the way hedging transactions and those associate with certain intangible income are taxed.
Duff and Phelps
The fall 2018 unclaimed property reporting season is nearing an end.
Gibson, Dunn & Crutcher
This webcast brings together a diverse panel of professionals in electric utility tax issues to discuss the impact of the 2017 Federal Tax Cuts and Jobs Act ("TCJA") on electric utilities
Dentons
The Treasury Department and IRS invite taxpayers to submit comments on the proposed regulations on or before May 6, 2019.
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