Carrie Brandon Elliot reviews questions and action plans generated by the January 1 effective date of a 1 percent tax on remittances from the U.S. to foreign recipients.
The “trapped profits” tax amendment is causing ripples of uncertainty for shareholders in non-Israeli companies, especially olim, new immigrants. Trapped profits refer to undistributed profits on ...
From evolving cross-border tax rules to new opportunities in global business planning, 2025 brought significant developments affecting individuals, entrepreneurs, and companies operating ...
In this episode of Tax Notes Talk, Elisângela Rita, a former member of the U.N. Committee of Experts on International Cooperation in Tax Matters, discusses her career in international tax and the ...
Individuals and businesses are frequently navigating transactions that span multiple countries. These transactions are often complex, as they navigate multiple jurisdictions’ unique — and often ...
25 experts will guide countries in designing tax policies that serve the Sustainable Development Goals while navigating the digital economy, climate transition, and widening wealth inequalities NEW ...
Imagine your company hires a software engineer from Germany, only to face unexpected tax liabilities due to their residency status. Steering through international tax laws isn't just about filling out ...
This introductory-level workshop is designed for senior officials, managers, and executives from regional tax administrations from SARTTAC member countries who are (or will be) involved in, or ...
With around 180 active tax expenditures and an estimated revenue foregone equivalent to about 6 percent of GDP in 2021, the third highest in Latin America, Uruguay offers a diverse array of tax breaks ...
The initiative aims to support both global tax scholarship and Singapore’s tax professionals. Singapore Management University’s (SMU) Yong Pung How School of Law (YPHSL) and the Tax Academy of ...