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Searching Content indexed under Tax Treaties by Duane Morris LLP ordered by Published Date Descending.
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U.S. Assists Finland In Investigation Of Payment Cardholders For Unreported Income Via John Doe Summons - Will The Use Of LLCs And Trusts Conceal Their Identities?
On May 1, 2019, the United States Department of Justice announced that a U.S. federal court had authorized the Internal Revenue Service to serve a so-called "John Doe" summons to several U.S. financial institutions.
United States
22 May 2019
2
India Parliament Ratifies Black Money (Undisclosed Foreign Income And Assets) And Imposition Of Tax Act
On 13 May 2015, the India Parliament ratified the Undisclosed Foreign Income and Assets (Imposition of Tax) Bill, 2015.
India
17 Aug 2015
3
First-ever Tax Treaty And Protocol Between The United States And Vietnam Signed
Though signed, the DTA will not become effective until both countries exchange instruments of ratification
Vietnam
15 Jul 2015
4
FIRST EVER Double Taxation Agreement Signed Between Vietnam And The United States Of America
On 07th July 2015, the United States and Vietnam signed an income tax treaty with Vietnam, the first ever between the two countries.
Vietnam
14 Jul 2015
5
UK Supreme Court Finds That UK Member Of Delaware LLC Is Entitled To Double Taxation Relief
In an unexpected decision, the United Kingdom Supreme Court has held in Anson v Commissioners for Her Majesty's Revenue & Customs that a UK member of a Delaware limited liability company was entitled to relief under the UK/US double taxation treaty.
UK
6 Jul 2015
6
Q-And-A On Base Erosion And Profit Shifting
Base Erosion and Profit Shifting is currently the subject of intense discussion among tax professionals worldwide, but it remains a confusing area.
United States
28 Apr 2014
7
The Second Coming Of The Voluntary Disclosure Program For Undisclosed Foreign Accounts
Due to the success of the Internal Revenue Service's (IRS) previous voluntary-disclosure program for undisclosed foreign accounts that resulted in 14,700 submissions by the end-date of October 15, 2009, and another 3,000 submissions after that date, on February 8, 2011, the IRS announced a second initiative for the disclosure of unreported foreign accounts in exchange for reduced penalties.
United States
7 Apr 2011
8
U.S. To Prohibit Drawback Claims For Excise Tax On Imports?
U.S. Customs and Border Protection (CBP) has proposed amendments to its regulations that would preclude the filing of a "substitution drawback claim for internal revenue excise taxes paid on imported merchandise in situations where no excise tax was paid upon the substituted merchandise or where the substituted merchandise is the subject of a different claim for refund or drawbacks of taxes under any other provision of the Internal Revenue Code" of 1986, as amended (the "IRC").
United States
22 Oct 2009
9
Does Your Foreign, International or Interstate Business Have a Hidden and Costly State Tax Liability?
Contrary to common belief, a foreign, international or interstate business, including a foreign subsidiary of a domestic company, may have a state tax liability even if such business does not have an office in a state, but it has an employee, agent or third-party representative traveling into a state. Similarly, having consigned inventory, leased property, intangible or tangible property or other types of presence in a state can subject a foreign, international or interstate business to state ta
United States
15 Mar 2006
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