Searching Content indexed under Income Tax by Justin Jesse ordered by Published Date Descending.
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US Tax Reform Measures Affecting Foreign Multinationals
On December 22, 2017, President Trump signed broad tax reform legislation into law that, among other things, reduced the corporate income tax rate to 21 percent and reformed the US international tax system.
United States
15 Jan 2018
CbC Reporting Is Here To Stay! Treasury Issues Final Regs
As anticipated in our earlier post, Country-by-Country (CbC) reporting is finally here! On Wednesday, the US Department of the Treasury released final regulations for CbC reporting, effective June 30, 2016.
United States
4 Jul 2016
Key Energy-Related Tax Provisions In The 2017 Budget Proposal
President Obama's recently released budget proposal for the 2017 fiscal year repeats many of his past energy-related tax proposals, including a permanent extension of the renewable energy production tax credit and a provision making it refundable.
United States
23 Feb 2016
U.S. Tax Court Upholds Favorable Definition Of Insurance
R.V.I. Guaranty Co. Ltd. (RVIG), is a Bermuda corporation registered and regulated as an insurance company under the Bermuda Insurance Act of 1978.
United States
16 Dec 2015
Captive Insurance Litigation: Key 2014 Cases
In 2014, the U.S. Tax Court issued two opinions with significant implications in the captive insurance world. On January 14, 2014, the court issued a reviewed decision in Rent-A-Center, Inc. v. Commissioner.
United States
16 Apr 2015
Senate Finance Committee Holds Hearing On Energy Tax Reform
On September 17, 2014, the Senate Finance Committee continued the focus on energy tax reform by holding a hearing on "Reforming America’s Outdated Energy Tax Code."
United States
1 Oct 2014
Supreme Court Unanimously Upholds Creditability of UK Windfall Tax
In a rare unanimous decision with potentially far-reaching impact on taxpayers claiming foreign tax credits, the Supreme Court of the United States ruled that a "windfall tax" imposed by the United Kingdom was creditable under IRC Section 901.
United States
25 May 2013
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