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Interaction of Interest Limitation Rules in the United States and Elsewhere

Until recently, the high US corporate tax rate and regime governing interest deductibility had provided a clear incentive for multinationals (particularly, non-US multinationals) to push interest expense into the United...more

The Revival of Section 1059 after Tax Reform

While much of the focus on tax reform has been the interpretation and implementation of the newly adopted rules, it is also worth considering how the changes adopted in tax reform have given new life to some preexisting...more

5/31/2018  /  Dividends , Federal Taxes , Tax Reform

Expense Apportionment to GILTI

Following tax reform, domestic corporate taxpayers are required to include in gross income the amount of a CFC’s income in excess of its Subpart F income and 10 percent of depreciable tangible property (referred to as GILTI)....more

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