|
INTERNATIONAL TAX STRATEGIES

Proven Tax and Transfer Pricing Strategies for Reducing Your International Tax Exposure RSS Feed
Recent Articles: China Issues Detailed Rules on Deductions for Asset Losses -- New Incentives for Technology Companies Corporate Tax Issues to Be Considered by Multinationals when Investing in Peru U.S. Government Continues to Increase Focus on Transfer Pricing with Increased Cotroversy Expected Chili: VAT on Services Considered Export Transactions New Incentives for Technologically-Advanced Service Enterprises in China Amendments to the Netherlands–Mexico Double Taxation Convention Addressing Risks of Intermediaries Filing for Bankruptcy in Section 1031 Exchanges
Obama Gets Tongue-Tied Over Taxes: The Administration Offers Its Long-Awaited International Tax Proposals IRS Revises Tax Shelter Rules Applicable to Some Merger and Acquisition Transactions Tax Stricter Reporting Requirements for U.S. Transferors of Property to Foreign Corporations China Issues Detailed Guidance on Anti-Avoidance Rules Planning Opportunities under Latin American Tax Treaties France and the United States Sign a Protocol Amending the Income Tax Treaty IRS Identifies Cross-Border Withholding as Tier I issue Final and Temporary Contract Manufacturing Regulations Issued by U.S. Treasury Department and the IRS IRS Issues Revised Cost Sharing Regulations Recent Developments in Mexican Rulings and Administrative Decisions Treasury and IRS Issue New Guidance Regarding the Tax Treatment of Transactions Involving Certain Preferred Stock Holdings in Fannie Mae and Freddie Mac IRS Provides Temporary Relief under Subpart F in Response to the Liquidity Crisis China's New Thin Capitalization Rules: Specific Debt/Equity Rations Established Financial Bailout Package Contains International Tax Provisions Get full access to Executive Briefing articles with your free subscription Click here to start your free electronic subscription. Your name will never be sold, rented, or traded.
|