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Ropes & Gray LLP
The Coronavirus Aid, Relief, and Economic Security Act (CARES Act), commonly referred to as Phase 3 of the federal government's...
Mayer Brown
COVID-19 has left employee workforces separated from their country of assignment.
Ropes & Gray LLP
The Coronavirus Aid, Relief, and Economic Security Act (CARES Act), commonly referred to as Phase 3 of the federal government's response to the coronavirus outbreak
McDermott Will & Emery
As part of our open letter to state tax administrators urging relief of undue tax administration burdens in light of COVID-19, we urged the disregarding of remote work for tax purposes. The public health necessity...
As of last week, over a fifth of the world's population were on lockdown in a global effort to control COVID-19. That number is poised to rise, with New Zealand imposing a nationwide lockdown...
Dickinson Wright PLLC
On Friday, March 20, 2020 the United States Treasury extended the April 15, 2020 tax-filing deadline to July 15, 2020.
Lewis Brisbois Bisgaard & Smith LLP
Washington, D.C. (March 23, 2020) - Reversing a distinction previously made, the Internal Revenue Service (IRS) on March 21 postponed until July 15 deadlines
Withers LLP
In response to the economic turbulence sparked by the COVID-19 pandemic, the federal government, along with several states, have granted taxpayers automatic extensions for filing and ...
Shearman & Sterling LLP
With the likely increased borrowings or refinancing of debt as a result of the COVID-19 crisis, multinational companies should consider the impact of changes in U.S. tax law made in 2018.
Proskauer Rose LLP
The UK Budget took place on 11 March. In its first post-Brexit Budget with substantial spending announcements, the Treasury wants to continue to ensure the UK remains an attractive and competitive place to invest and do business.
Kramer Levin Naftalis & Frankel LLP
In its recent decision in Rodriguez v. Federal Deposit Insurance Corp., No. 18–1269 (Sup. Ct. Feb. 25, 2020), ...
Shearman & Sterling LLP
On February 25, 2020, the United States Supreme Court in Rodriguez v. Federal Deposit Insurance Corporation[1] struck down a judicial federal common law rule
Ropes & Gray LLP
•International Tax Review: Leading Women in Tax Forum: Ropes & Gray is a sponsor of the ITR: Leading Women in Tax Forum on March 3 in New York,...
As business becomes more global, tax authorities worldwide are strengthening compliance regulations, raising fines and demanding more information from corporations that do business internationally.
Holland & Knight
In Part 1, the concept and rationale of tax affecting was discussed.
Davies Ward Phillips & Vineberg
Even after two years of frenzied activity, the IRS has yet to issue several major sets of regulations under the TCJA.
Cleary Gottlieb Steen & Hamilton LLP
The international tax system is continuing to experience a period of significant change
In 2013, the Organisation for Economic Co-operation and Development and G20 countries jointly developed an action plan to address base erosion and profit shifting by multinational enterprises.
Ruchelman PLLC
As the O.E.C.D. continues its work on the taxation of the digital economy, comments were accepted by the O.E.C.D. Centre for Tax Policy and Administration Secretariat in advance of a public consultation in late November 2019.
Cadwalader, Wickersham & Taft LLP
The Court of Appeal in The Queen v HMRC [2019] EWCA Civ 1643 (Aozora) recently uphlod the decision of the High Court concerning the extent to which a taxpayer could have a legitimate expectation.
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