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Tax Cuts and Jobs Act

From Obscurity to Spotlight: The Section 962 Election

February 18, 2020 By Scott Harty and Seth Buchwald

In case you missed it's release right before the President's Day holiday weekend, our International Tax Group addressed an election under Section 962 available to individual U.S. shareholders of certain foreign corporations to be taxed as a C corporation, which before tax reform was a rarely utilized and often forgotten tool that has recently been thrust into the spotlight due to its potential benefits. The rise in popularity of the Section 962 election Smith v. Commissioner, an unfavorable ruling for U.S. shareholders receiving distributions of foreign earnings subject to a Section 962 [...]Read more

Filed Under: International Tax Advisory Tagged With: 962, C Corp, CFC, GILTI, Subpart F, Tax Cuts and Jobs Act, tax reform, TCJA

The BEAT (Still) Goes On – New Final and Proposed BEAT Regulations

January 17, 2020 By Richard Slowinski and Stefanie Kavanagh

Earlier this week, our International Tax Group analyzed some of the most interesting and significant provisions of the new Treasury and IRS regulations for the base erosion and anti-abuse tax. Clarifications about base erosion payments Clarifications about aggregate groups Election to waive deductions Read the full advisory here. [...]Read more

Filed Under: International Tax Advisory Tagged With: base erosion, BEAT, IRS, Section 59A, Tax Cuts and Jobs Act, Treasury

Down the Rabbit Hole: Guidance Addressing Downward Attribution After Repeal of Section 958(b)(4)

October 15, 2019 By Edward Tanenbaum and Daniel Reach

The IRS released Proposed Regulations and a Revenue Procedure addressing the Tax Cuts and Jobs Act’s repeal of Section 958(b)(4). Our International Tax Group explores how this guidance affects numerous provisions of the Code. Downward attribution beyond Subpart F, GILTI, and Section 965 Silence on the portfolio interest exemption Safe harbors and eased reporting requirements Read the full advisory here. [...]Read more

Filed Under: International Tax Advisory Tagged With: 958(b)(4), GILTI, IRS, portfolio interest exemption, proposed regulations, Revenue Procedure, safe harbor, section 965, Subpart F, Tax Cuts and Jobs Act, tax refrom

Final Hardship Distribution Rules Are Here: Does Your 401(k) or 403(b) Plan Comply?

October 4, 2019 By Meredith Gage

Our Employee Benefits & Executive Compensation Group examines the numerous changes – mandatory and permissible – plan sponsors can make to their 401(k) or 403(b) plans in light of new regulations for hardship distributions. When do you need to amend your plan? What are the mandatory and permissible changes? What next steps should you take? Read the full advisory here. [...]Read more

Filed Under: Employee Benefits Tagged With: 401(k), 403(b), Bipartisan Budget Act of 2018, hardship distribution, IRS, Tax Cuts and Jobs Act

Hold Up, Partner: Proposed Regulations Address Withholding on Foreign Partner Dispositions

June 17, 2019 By Edward Tanenbaum and Heather Ripley

Newly proposed regulations expand withholding on foreign partners transferring interests in partnerships who do business in the United States. Our International Tax Group evaluates the tightening reins on exceptions. Notice 2018-29 and other prior Section 1446(f) guidance Modified withholding exceptions in the new regulations Activation of previously suspended PTP and secondary withholding Read the full advisory here. [...]Read more

Filed Under: International Tax Advisory, Tax Reform Tagged With: 1446(f), ECI, effectively connected income, Grecian Magnesite Mining, IRS, qualified notice, section 1146, Section 1446(f), section 864(c)(8), Sectopm 864, Tax Cuts and Jobs Act, tax reform, TCJA, Treasury, withholdings

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