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FATCA consists of worldwide reporting and withholding rules designed to greatly reduce U.S. tax noncompliance for accounts and certain assets held offshore by U.S. taxpayers. FATCA's withholding rules are discussed in this chapter.
The PPL decision was released on May 20 and taxprof posted initial thoughts from Reuven Avi Yonah and myself. I'm not convinced as Prof. Avi-Yonah is that the decision is correct, but I am interested in a few of the interpretive advances presented.
Supporters of federal action to allow states to require Internet retailers to collect sales tax on online purchases got a huge boost on May 6 when the U.S. Senate overwhelmingly endorsed legislation to make that a reality.
Although there is support to repeal the Medical Device Excise Tax, solutions to offset the loss of revenue have not been found.
Now that the final FATCA Regulations are published and a number of intergovernmental agreements have been signed, FFIs must implement practical steps to be FATCA compliant by January 1, 2014.
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Lois Lerner, the embattled exempt organizations director in the IRS Tax-Exempt and…
... I... think, along with many others such as the Taxpayer Advocate, that the IRS…
Should we get rid of 501(c)(4)s? Last week, the New York Times put that question…
Attorney-at-Law
Tax Law Practice
Boies, Schiller & Flexner LLP
Hodgson Russ, LLP
Winston & Strawn LLP
Assoc. Dean, Tax & Financial Svcs. Grad. Program
Associate Professor, Gonzaga University School of
Shareholder, Stradling Yocca Carlson & Rauth
Chief Counsel, Tax Litigation, Indiana State AG
Money Laundering, Asset Forfeiture and Recovery, and Compliance
What will define tax reform movement in 2013?