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Tax Cuts and Jobs Act

State of Uncertainty: GILTI Considerations for Individuals

October 15, 2018 By Daniel Reach and Brian Harvel

Our International Tax Group explores the hidden terrain for individuals found in the new tax on global intangible low-taxed income (GILTI). The Section 250 deduction The renewed importance of Section 962 Beware of the C-corp. lobster pot Read the full advisory here. [...]Read more

Filed Under: International Tax Advisory Tagged With: CFC, Controlled Foreign Corporations, Domestic C, GILTI, Subpart F, Tax Cuts and Jobs Act, tax reform, TCJA

First Round of Proposed GILTI Regulations Avoids the Hard(er) Stuff

September 20, 2018 By Edward Tanenbaum and Heather Ripley

The IRS’s opening salvo of proposed regulations under the Tax Cuts and Jobs Act’s global intangible low-taxed income is as complex as you would think. Our International Tax Group cuts through the clutter to address the key takeaways: Computation of GILTI inclusion Anti-abuse rules GILTI guidance still to come Read the full advisory here.  [...]Read more

Filed Under: International Tax Advisory, Uncategorized Tagged With: anti-abuse, Base Erosion and Anti-Abuse Tax, CFC, controlled foreign corporation, domestic partnerships, GILTI, IRS, Section 951A, Tax Cuts and Jobs Act, TCJA

Cash Deals Abound

September 4, 2018 By Jasper L. (Jack) Cummings, Jr.

Cash is king in this year’s M&A deals. Our Federal Tax Group investigates the tax implications behind these all-cash deals and what dangers may lie ahead. Few stocks are held by taxable persons First-step mergers A tax reform revenue raiser that hasn’t raised revenue Read the full advisory here.  [...]Read more

Filed Under: Federal Tax Advisory Tagged With: acquisitions, cash, corporate debt, m&a, mergers, Tax Cuts and Jobs Act, tax reform, TCJA

Omnibus Spending Bill Makes Long-Awaited Technical Corrections to Several PATH Act Provisions

May 17, 2018 By Stefanie Kavanagh and James Croker

While the omnibus spending bill didn’t do much to clarify the Tax Cuts and Jobs Act, it did make some corrections to other tax laws. Our International Tax Group discusses some of those corrections for qualified foreign pension funds and the Foreign Investment in Real Property Tax Act of 1980 (FIRPTA). Requirements for qualified foreign pension funds Changes for problematic requirements Corrections to the PATH Act Read the full advisory here.  [...]Read more

Filed Under: International Tax Advisory, Tax Policy, Tax Reform Tagged With: Consolidated Appropriations Act of 2018, Omnibus, PATH Act, QCIVs, QFPFs, qualified collective investment vehicles, qualified foreign pension funds, Section 199a, Tax Cuts and Jobs Act, tax refrom, TCJA, Trump

The Tax Act’s New Business Interest Expense Limitation – Dear IRS: Some Guidance, Please?

March 15, 2018 By Edward Tanenbaum and Daniel Reach

The Tax Cuts and Jobs Act replaced the earnings stripping rules with a new limitation on deductions for business interest expense. Our International Tax Group examines the new law and what it means for interest expense deductions going forward. Special rules for partnerships and S corporations Rules for corporations What the new limitation leaves out Read the full advisory here. [...]Read more

Filed Under: International Tax Advisory, Tax Reform Tagged With: Corporations, IRS, partnerships, S corporations, S Corps, Section 163, Tax Act, Tax Cuts and Jobs Act, tax reform

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