ArticlePodcast: Digital Taxation - Implications For EU Technology CompaniesDigital Taxation - Implications for EU Technology Companies.European UnionTaxRopes & Gray LLP
ArticleIndia Agrees "In Substance" To Model 1 FATCA IGAThe U.S. Treasury announced that on April 11, 2014, India agreed "in substance" to sign a Model 1 FATCA IGA with the US. United StatesTaxBakerHostetler
ArticleNew Rules For Non-Domiciled Individuals AnnouncedThe 2011 Budget has announced that non-domiciled individuals who want to use the remittance basis of taxation will face a flat rate charge of £50,000 when they have been UK resident for 12 or more tax years. United StatesTaxMcGuireWoods LLP
ArticleU.S. Signs FATCA IGA With FranceBloomberg BNA reports that the Treasury Department announced on November 14, 2013, that the U.S. and France have signed a Model 1 FATCA IGA.United StatesTaxBakerHostetler
ArticleU.S. Signs FATCA IGA with LuxembourgOn March 28, 2014, the U.S. signed a FATCA IGA with Luxembourg. United StatesTaxBakerHostetler
ArticleU.S. Signs Agreements With Cayman Islands And Costa Rica To Implement FATCAOn November 29, the United States signed intergovernmental agreements with the Cayman Islands and Costa Rica to implement the Foreign Account Tax Compliance Act (FATCA). United StatesTaxOrrick
ArticleBEPS Penalty FalloutIn a recent Tax Notes article, the author addresses a recent IBA conference panel focused on OECD's implementation of the base erosion and profit-shifting (BEPS) program.United StatesTaxRopes & Gray LLP
ArticleCarried Interest Provisions And Foreign Account Tax Compliance Act Proposed As Offsets For Extenders BillYesterday, Representative Rangel of New York introduced the "Tax Extenders Act of 2009" (the "Bill") in the House. The Bill would extend through the end of 2010 more than forty tax relief provisions that are scheduled to expire at the end of 2009. United StatesTaxFried Frank Harris Shriver & Jacobson
ArticleSenate To Vote On Tax TreatiesOn June 25, the Senate Foreign Relations Committee approved protocols to four income tax treaties, clearing the way for the treaties to be considered by the full Senate. United StatesTaxRuchelman PLLC
ArticleTime For A Change: Toward A New Korea-U.S. Income Tax TreatyThis article examines certain provisions of the current Korea-U.S. Income tax treaty and suggests possible amendments based on the 2006 U.S. model treaty. United StatesTaxCaplin & Drysdale, Chartered
VideoYou Can Run But You Can't Hide From The IRS (Video)Kevin Packman and Andrea Darling de Cortés and Litigation Attorney William Shepherd co-hosted the fifth session in our International Private Client Webinar Series.United StatesTaxHolland & Knight
ArticleProtocol Amending US/Swiss Tax Treaty Takes EffectThe protocol amending the United States Tax Treaty with Switzerland has been ratified by the United States and began to take effect as of 20 September 2019. WorldwideTaxWithers LLP
ArticleBenefits For U.S. Retirement Plan Participants In The Malta-U.S. Tax TreatyWilliam D. Lipkind (Partner-New Jersey) and Adam Buchwalter (Of Counsel-New Jersey) reported on "Benefits for U.S. Retirement Plan Participants in the Malta-U.S. Tax Treaty."United StatesTaxWilson Elser Moskowitz Edelman & Dicker LLP
PodcastBig Law Redefined: Immigration Insights Episode 2 | Navigating US Immigration Law And Tax Complexities For High-Net-Worth Individuals (Podcast)In this episode of Greenberg Traurig's Immigration Insights series, host Kate Kalmykov is joined by GT colleague and Tax Practice Shareholder, Erez Tucner, to explore the intersection of U.S. immigration and tax considerations for high-net-worth individuals.United StatesTaxGreenberg Traurig
ArticleNew Tax Information Exchange Agreement Between The United States And ArgentinaThe governments of Argentina and the United States signed on December 23rd, 2016, a new tax information exchange agreement ("TIEA").United StatesTaxSheppard
ArticleNext Up: Singapore? Summonses Could Hit More Global Financial InstitutionsA recent summons showdown with UBS shows that DOJ and the IRS are far from done with offshore enforcement efforts, and are expanding those efforts beyond Europe.United StatesTaxDentons
ArticleTax-related Measures In Investor-State ArbitrationA study on tax-related measures in investor-State arbitration, co-authored with Professor Yarik Kyrvoi, Senior Fellow in International Economic Law and Director of the Investment Treaty Forum at the British Institute of International and Comparative Law.United StatesTaxWilmerHale
ArticleUS Estate Tax Liabilities Vary Based On Your Domiciliary StatusThe concept of domicile is key to determining an individual's liability for US estate tax purposes.United StatesTaxGreenberg Glusker LLP
ArticleForeign Pensions And The US – What Globally Mobile Individuals Need To Know To Protect Your Retirement (Video)Many people come to California temporarily for work from outside the US and then end up becoming part of the great economy that encourages innovation and entrepreneurship for the long haul.WorldwideEmployment and HRWithers LLP
ArticleKey Takeaways From IBA Annual Conference PanelMaterials from the presentation are available to IBA members on their website.WorldwideTaxProskauer Rose LLP