Executive summary. EY Global Tax Alert Library

Size: px
Start display at page:

Download "Executive summary. EY Global Tax Alert Library"

Transcription

1 28 December 2017 Global Tax Alert US proposed regulations may alleviate foreign currency tax asymmetries for CFCS and provide new mark-to-market election for certain foreign currency transactions EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: Executive summary On 18 December 2017, the United States (US) Treasury Department and the Internal Revenue Service (IRS) issued proposed regulations under Internal Revenue Code 1 Sections 446, 954(c)(1)(D) and 988 (the Proposed Regulations) that provide new guidance on the subpart F treatment and timing of foreign currency gain or loss attributable to Section 988 transactions of a controlled foreign corporation (CFC). The Proposed Regulations also provide a new election for all taxpayers, including CFCs, to use a mark-to-market method of accounting for certain Section 988 transactions and would clarify certain issues for which no previous guidance existed. The proposed amendments generally are proposed to apply to tax years ending on or after the date the Proposed Regulations are published as final regulations in the Federal Register. Taxpayers may, however, rely on the proposed amendments for bona fide hedging transactions, provided the taxpayer consistently applies the proposed amendments to all bona fide hedging transactions entered on or after the date the Proposed Regulations are published in the Federal Register. Additionally, a taxpayer may rely on all other proposed amendments of the Proposed Regulations for tax years ending on or after the date the Proposed Regulations are published in the Federal Register, provided the taxpayer applies the proposed amendment for all such tax years that end before the first tax year ending on or after the date the Proposed Regulations are published as final.

2 2 Global Tax Alert Detailed discussion Background Section 954(c)(1)(D) and final regulations under Section 954 generally treat the excess of foreign currency gains over foreign currency losses attributable to any Section 988 transactions 2 of a CFC as foreign personal holding company income (FPHCI). For this purpose, however, amounts that arise from a transaction (including certain qualifying hedging transactions) directly related to the business needs of the CFC are not taken into account (the so-called Business Needs Exclusion). In addition, final regulations under Section 954 contain a special rule for the treatment of foreign currency gain or loss from an interest-bearing liability of a CFC, and provide alternative elections to treat foreign currency gain or loss of a CFC as attributable to a specific category of subpart F income, or to treat all Section 988 gains and losses as FPHCI. 3 Since the enactment of subpart J and the promulgation of Section 988 rules nearly 30 years ago, taxpayers and commentators have become increasingly aware of US federal income tax timing and subpart F asymmetries that result from the interaction of the Section 954 foreign currency rules with ordinary course financing and risk management activities of CFCs, particularly with respect to the activities of treasury center CFCs. As discussed later, the Proposed Regulations, once applicable, may alleviate some of the more common tax asymmetries. The noteworthy provisions of the Proposed Regulations are addressed next. Expansion of the business needs exclusion The current Section 954 regulations generally do not allow any Section 988 gain or loss arising from a transaction or property (or an associated bona fide hedging transaction) to qualify for the Business Needs Exclusion if the underlying transaction or property being hedged gives rise to (or can reasonably be expected to give rise to) any amount of subpart F income (other than foreign currency gain or loss), resulting in an all-or-nothing cliff effect. Further, under current law, there is uncertainty as to whether the Business Needs Exclusion applies to risk management transactions a CFC may enter to manage risk of currency fluctuations with respect to its net investment in a qualified business unit (QBU) that is disregarded as an entity separate from the CFC. For financial accounting purposes, the CFC may record gain or loss arising from these transactions to a cumulative translation adjustment account on the CFC s balance sheet, which does not currently impact earnings. The Proposed Regulations would modify the Business Needs Exclusion to eliminate the all-or-nothing cliff effect and exclude foreign currency gain or loss amounts that are properly allocable to non-subpart F income, and that would otherwise satisfy the requirements of the Business Needs Exclusion, from a CFC s FPHCI. 4 The Proposed Regulations also provide that the qualifying portion 5 of any foreign currency gain or loss that arises from a financial statement hedging transaction 6 with respect to a QBU and that is allocable to non-subpart F income 7 is directly related to the business needs of the CFC, and thus would be excluded from the CFC s FPHCI. 8 Guidance regarding interest-bearing liabilities Under current law, foreign currency gain or loss arising from an interest-bearing liability does not qualify for the Business Needs Exclusion. Instead, a special rule provides that foreign currency gain or loss on interest-bearing liabilities is allocated between subpart F and non-subpart F income in the same manner that interest expense associated with the liability is allocated between subpart F and non-subpart F income under Temp. Treas. Reg. Sections T and -12T. No corresponding rule exists under Treas. Reg. Section (g), however, for allocating the foreign currency gain or loss on a hedge of an interest-bearing liability between subpart F and non-subpart F income. The Proposed Regulations would alleviate the subpart F mismatch that may occur under current law by: (i) expanding the definition of a bona fide hedging transaction to include the acquisition of a debt instrument (e.g., an intercompany debt receivable) used to manage foreign currency risk with respect to an interest-bearing liability; 9 and (ii) allocating foreign currency gain or loss arising from a bona fide hedging transaction of an interest-bearing liability, including an intercompany debt receivable, as subpart F and nonsubpart F income in the same manner as allocating foreign currency gain or loss from the interest-bearing liability. 10 Modifications to certain foreign currency elections Under current law, taxpayers that make a (g)(3) or (g)(4) election can revoke those elections only upon the consent of the Commissioner. 11 Prop. Treas. Reg. Sections (g)(3)(iii) and -2(g)(4)(iii), would permit the controlling US shareholders of a CFC to unilaterally and automatically revoke either election at any time by filing a revocation statement with the applicable original or amended income tax return. To prevent frequent changes to these elections,

3 Global Tax Alert 3 the Proposed Regulations would prohibit an election that has been revoked from being subsequently elected until the sixth tax year following the year in which the previous election was revoked, and would prevent a subsequent revocation of that subsequent election from being revoked until the sixth tax year following the subsequent election. Application of hedge timing rules to all bona fide hedging transactions Treas. Reg. Section generally governs the timing of gain or loss recognized with respect to hedging transactions, as defined in Treas. Reg. Section (b). The Proposed Regulations would extend the hedge timing rules of Treas. Reg. Section to apply to all bona fide hedging transactions, including those that do not currently qualify as hedging transactions under Treas. Reg. Section (b), such as hedges of Section 1231 property and certain Section 988 transactions. 12 Thus, the Proposed Regulations should eliminate timing mismatches that may arise from bona fide hedging transactions that do not meet the definition of a hedging transaction under the Section 1221 Regulations. Election to mark-to-market all Section 988 transactions Under Section 475, certain taxpayers that qualify as dealers in securities generally must mark all of their securities to market at the end of each tax year. Regulations under Section 475, however, exclude a debt instrument issued by the taxpayer from the definition of security. 13 The current mismatch under Section 475 raises significant timing differences, particularly in the context of a treasury center CFC. To address this concern, Prop. Treas. Reg. Section , would permit, subject to certain exceptions, 14 a taxpayer (including a CFC) to elect to use a mark-to-market method of accounting for foreign currency gain or loss arising from Section 988 transactions, including nonfunctional currency debt issued by the taxpayer. Effective dates The proposed amendments generally apply to tax years ending on or after the date the Proposed Regulations are published as final regulations in the Federal Register. However, the proposed amendments to bona fide hedging transactions under Treas. Reg. Sections (a) (extending the hedge timing rules of Treas. Reg. Section to all bona fide hedging transactions), (a)(4)(ii)(A) (extending bona fide hedge treatment to the acquisition of certain debt instruments), (g)(2)(ii)(C)(1) (extending bona fide hedge treatment to hedges of certain transactions or property that give rise to both subpart F income and non-subpart F income) and (g)(2)(iii) (expanding the special rule for foreign currency gain or loss from an interest-bearing liability to bona fide hedges of an interest bearing liability) are proposed to apply to bona fide hedging transactions entered on or after the date the proposed regulations are published as final regulations in the Federal Register. The preamble also provides that taxpayers may rely on the Proposed Regulations before finalization. In particular, taxpayers may rely on the Proposed Regulations related to bona fide hedging transactions cited previously for bona fide hedging transactions entered on or after the date the Proposed Regulations are published in the Federal Register, provided the taxpayer consistently applies the proposed amendments to all bona fide hedging transactions entered on or after the date the Proposed Regulations are published in the Federal Register and before the date the Proposed Regulations are published as final. Additionally, the preamble indicates that a taxpayer may rely on all other proposed amendments (e.g., Prop. Treas. Reg. Section ) of the Proposed Regulations for tax years ending on or after the date the Proposed Regulations are published in the Federal Register, provided the taxpayer applies the proposed amendment for all such tax years that end before the first tax year ending on or after the date the Proposed Regulations are published as final. Implications The Proposed Regulations are largely taxpayer-favorable rules addressing timing and subpart F mismatches from foreign currency transactions, particularly for financing and risk management activities into which treasury center CFCs enter. Notably, the Proposed Regulations would allow taxpayers treatment of foreign currency transactions to more closely align to the book accounting treatment for such items. As a result, the Proposed Regulations should foster enhanced communication among taxpayers tax, treasury and accounting departments. Since, according to the preamble, taxpayers may rely on the Proposed Regulations now, taxpayers should assess their current US federal income tax treatment of foreign currency transactions, particularly at the CFC level, to determine the potential benefit of relying on certain aspects of the Proposed Regulations now. In assessing the potential benefit of early application of the Proposed Regulations, taxpayers should take into account any potential impact on tax reform planning as well as potential tax return filing requirements.

4 4 Global Tax Alert In addition to the proposed rulemaking discussed earlier, the Treasury Department and the IRS have requested comments on whether additional amendments to the Business Needs Exclusion are appropriate for a CFC hedging foreign currency risk with respect to a transaction disregarded from a US federal income tax perspective (e.g., foreign currency risk on a disregarded loan between a CFC and its QBU) and for transactions entered by a CFC to hedge foreign currency risk with respect to a CFC s net investment in a subsidiary CFC (i.e., a net investment hedge or Hoover hedge). Taxpayers are encouraged to provide comments to the extent they deem an expansion of the Business Needs Exclusion for such disregarded transactions and net investment hedging desirable. Endnotes 1. All Section references are to the Internal Revenue Code of 1986, and the regulations promulgated thereunder. 2. Section 988 transactions generally include the following: the accrual of any item of income or expense that is to be paid or received in a nonfunctional currency after the date of accrual; lending or borrowing in a nonfunctional currency; entering into or acquiring a forward, future, option or similar contract denominated in a nonfunctional currency; and the disposition of nonfunctional currency. 3. Under Treas. Reg. Section (g)(3)(iii), the taxpayer may elect, under the so-called (g)(3) election, to include foreign currency gain or loss that relates to a specific category of subpart F income or, in the case of foreign base company income (FBCI), a specific category of FBCI, in that category of subpart F income or FBCI, rather than in FPHCI. Under Treas. Reg. Section (g)(4)(iii), the taxpayer may elect, under the so-called (g)(4) election, to include in the computation of FPHCI all foreign currency gain or loss attributable to any Section 988 transaction. 4. See Prop. Treas. Reg. Section (g)(2)(ii)(C)(1). The amount of foreign currency gain or loss treated as satisfying the Business Needs Exclusion would equal the product of the foreign currency gain or loss arising from the transaction or property and the ratio of non-subpart F income over the total amount of income arising from the transaction or property. 5. The qualifying portion of foreign currency gain or loss is the amount of foreign currency gain or loss arising from a financial statement hedging transaction that is properly accounted for under US generally accepted accounting principles as a cumulative foreign currency translation adjustment to shareholder s equity. 6. A financial statement hedging transaction is a transaction into which the CFC enters for the purpose of managing foreign currency risk with respect to part or all of that CFC s net investment in a QBU that is included in the consolidated financial statements of a US shareholder of the CFC. The Proposed Regulations would not expand the definition of a bona fide hedging transaction to include financial statement hedging transactions. 7. The qualifying portion of any foreign currency gain or loss arising from a financial statement hedging transaction would have to be allocated between subpart F and non-subpart F income using the principles of Treas. Reg. Section (b). 8. Prop. Treas. Reg. Section (g)(2)(ii)(C)(2). Foreign currency gain or loss arising from a financial statement hedging transaction would not be subject to the hedge timing rules of Treas. Reg. Section discussed below and would be taken into account based on a taxpayer s method of accounting. The preamble to the Proposed Regulations solicits comments on this topic. 9. Prop. Treas. Reg. Section (a)(4)(ii)(A). This determination generally would be made without regard to Treas. Reg. Section (d)(5), which prohibits the acquisition of a debt instrument from qualifying as a hedging transaction under Treas. Reg. Section (b). 10. The Proposed Regulations would clarify that this rule applies in lieu of the general Business Needs Exclusion in Treas. Reg. Section (g)(2)(ii). 11. Treas. Reg. Sections (g)(3)(iii), -2(g)(4)(iii). 12. Prop. Treas. Reg. Section (a). 13. The treatment of nonfunctional currency liabilities under Section 475, however, was unclear. 14. The election under Prop. Treas. Reg. Section would not apply to: (1) any securities that are marked to market under any other provision of the Code; (2) any securities that, under an election or an identification made by the taxpayer, are excepted from mark-to-market treatment under any other provision of the Code; (3) any transactions of a QBU that is subject to Section 987; or (4) any Section 988 transactions denominated in, or determined by reference to, a hyperinflationary currency.

5 Global Tax Alert 5 For additional information with respect to this Alert, please contact the following: Ernst & Young LLP, International Tax Services Capital Markets Tax Practice David Golden, Washington, DC david.golden@ey.com Doug Chestnut, Washington, DC douglas.chestnut@ey.com Lee Holt, New York lee.holt@ey.com Tim Wichman, Chicago timothy.wichman@ey.com Karla Johnsen, New York karla.johnsen@ey.com Liz Hale, Washington, DC liz.hale@ey.com Bob Leonard, Chicago bob.leonard@ey.com Colleen Zeller, New York colleen.zeller@ey.com Tim Kerr, Chicago tim.kerr@ey.com International Tax Services Global ITS, Alex Postma, Tokyo ITS Director, Americas, Jeffrey Michalak, Detroit ITS Markets Leader, Americas, Stephen O Neil, New York Ernst & Young LLP, National Director of ITS Technical Services, Jose Murillo, Washington ITS Regional Contacts, Ernst & Young LLP (US) Northeast Johnny Lindroos, McLean, VA Financial Services Chris J Housman, New York Central Mark Mukhtar, Detroit Southeast Scott Shell, Charlotte, NC Southwest Amy Ritchie, Houston West Sadler Nelson, San Jose, CA Canada Ernst & Young LLP (Canada) Albert Anelli, Montreal

6 EY Assurance Tax Transactions Advisory About EY EY is a global leader in assurance, tax, transaction and advisory services. The insights and quality services we deliver help build trust and confidence in the capital markets and in economies the world over. We develop outstanding leaders who team to deliver on our promises to all of our stakeholders. In so doing, we play a critical role in building a better working world for our people, for our clients and for our communities. EY refers to the global organization, and may refer to one or more, of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young Global Limited, a UK company limited by guarantee, does not provide services to clients. For more information about our organization, please visit ey.com EYGM Limited. All Rights Reserved. EYG no Gbl NY ED None This material has been prepared for general informational purposes only and is not intended to be relied upon as accounting, tax, or other professional advice. Please refer to your advisors for specific advice. ey.com

US Treasury intends to delay application of final regulations under Section 987 by one year

US Treasury intends to delay application of final regulations under Section 987 by one year 4 October 2017 Global Tax Alert US Treasury intends to delay application of final regulations under Section 987 by one year Immediate pre-transition considerations remain for taxpayers EY Global Tax Alert

More information

Executive summary. NEW! EY Tax News Update: Global Edition

Executive summary. NEW! EY Tax News Update: Global Edition 21 January 2019 Global Tax Alert US federal income tax considerations for taxpayers and QBUs using the Argentine peso as their functional currency and for certain Argentine pesodenominated transactions

More information

US IRS concludes gain recognition agreements and related filings not affected by short tax years

US IRS concludes gain recognition agreements and related filings not affected by short tax years 30 November 2017 Global Tax Alert US IRS concludes gain recognition agreements and related filings not affected by short tax years EY Global Tax Alert Library Access both online and pdf versions of all

More information

Executive summary. EY Global Tax Alert Library

Executive summary. EY Global Tax Alert Library 13 December 2016 International Tax Alert Final and temporary US foreign currency regulations change determination of branch taxable income and recognition of Section 987 gain or loss and defer Section

More information

US: Forthcoming proposed regulations will offer some clarity on Section 163(j) business interest expense limitation

US: Forthcoming proposed regulations will offer some clarity on Section 163(j) business interest expense limitation 9 April 2018 Global Tax Alert US: Forthcoming proposed regulations will offer some clarity on Section 163(j) business interest expense limitation EY Global Tax Alert Library Access both online and pdf

More information

US: Proposed 956 regulations would limit foreign tax credit planning by reducing Section 956 inclusions for corporate US shareholders

US: Proposed 956 regulations would limit foreign tax credit planning by reducing Section 956 inclusions for corporate US shareholders 5 November 2018 Global Tax Alert US: Proposed 956 regulations would limit foreign tax credit planning by reducing Section 956 inclusions for corporate US shareholders NEW! EY Tax News Update: Global Edition

More information

US IRS suspends application of new Section 1446(f) withholding requirement on dispositions of publicly traded partnership interests

US IRS suspends application of new Section 1446(f) withholding requirement on dispositions of publicly traded partnership interests 12 January 2018 Global Tax Alert US IRS suspends application of new Section 1446(f) withholding requirement on dispositions of publicly traded partnership interests EY Global Tax Alert Library Access both

More information

Executive summary. Detailed discussion. EY Global Tax Alert Library

Executive summary. Detailed discussion. EY Global Tax Alert Library 22 December 2016 International Tax Alert US final regulations retroactively eliminate Section 367(d) s exception for foreign goodwill and going concern value and narrow Section 367(a) s active trade or

More information

US IRS issues examination guidelines on Form 1120-F filing deadline waivers

US IRS issues examination guidelines on Form 1120-F filing deadline waivers 2 March 2018 Global Tax Alert US IRS issues examination guidelines on Form 1120-F filing deadline waivers EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

US Treasury grants yet another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts

US Treasury grants yet another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts 11 January 2018 Global Tax Alert US Treasury grants yet another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts EY Global Tax Alert Library

More information

US Tax Court holds US parent s CFCs held US Property under Section 956 as result of intercompany transactions

US Tax Court holds US parent s CFCs held US Property under Section 956 as result of intercompany transactions 2 August 2017 Global Tax Alert US Tax Court holds US parent s CFCs held US Property under Section 956 as result of intercompany transactions EY Global Tax Alert Library Access both online and pdf versions

More information

US IRS issues proposed regulations. and registered form rules. Executive summary. Detailed discussion. EY Global Tax Alert Library.

US IRS issues proposed regulations. and registered form rules. Executive summary. Detailed discussion. EY Global Tax Alert Library. 25 September 2017 Global Tax Alert US IRS issues proposed regulations on registrationrequired obligations and registered form rules EY Global Tax Alert Library Access both online and pdf versions of all

More information

US IRS issues proposed regulations on international rules under BBA partnership audit regime

US IRS issues proposed regulations on international rules under BBA partnership audit regime 7 December 2017 Global Tax Alert US IRS issues proposed regulations on international rules under BBA partnership audit regime EY Global Tax Alert Library Access both online and pdf versions of all EY Global

More information

US IRS issues interim guidance under new Section 1446(f) for sales of interests in non-publicly traded partnerships

US IRS issues interim guidance under new Section 1446(f) for sales of interests in non-publicly traded partnerships 12 April 2018 Global Tax Alert US IRS issues interim guidance under new Section 1446(f) for sales of interests in non-publicly traded partnerships EY Global Tax Alert Library Access both online and pdf

More information

US IRS guidance offers relief for financial institutions required to obtain and report taxpayer identification numbers

US IRS guidance offers relief for financial institutions required to obtain and report taxpayer identification numbers 2 October 2017 Global Tax Alert US IRS guidance offers relief for financial institutions required to obtain and report taxpayer identification numbers EY Global Tax Alert Library Access both online and

More information

Updated 2019 US Section 1256 qualified board or exchange list

Updated 2019 US Section 1256 qualified board or exchange list 31 January 2019 Global Tax Alert Updated 2019 US Section 1256 qualified board or exchange list NEW! EY Tax News Update: Global Edition EY s new Tax News Update: Global Edition is a free, personalized email

More information

US Treasury grants another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts

US Treasury grants another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts 12 December 2018 Global Tax Alert US Treasury grants another extension of time for reporting signature authority (FBAR, Form 114) over certain foreign financial accounts NEW! EY Tax News Update: Global

More information

US Section 871(m) final and temporary regulations address dividend equivalents

US Section 871(m) final and temporary regulations address dividend equivalents 30 January 2017 International Tax Alert US Section 871(m) final and temporary regulations address dividend equivalents EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax

More information

Executive summary. EY Global Tax Alert Library

Executive summary. EY Global Tax Alert Library 13 December 2016 International Tax Alert US Notice 2016-73 announces amendments to Section 367 regulations applying to certain cross-border triangular reorganizations and inbound nonrecognition transactions

More information

Executive summary. EY Global Tax Alert Library

Executive summary. EY Global Tax Alert Library 30 January 2017 International Tax Alert US temporary and proposed regulations deny nonrecognition treatment to contributions of appreciated property by US persons to certain partnerships with related foreign

More information

US Tax Cuts and Jobs Act significantly affects US private companies with outbound investments

US Tax Cuts and Jobs Act significantly affects US private companies with outbound investments 5 February 2018 Global Tax Alert US Tax Cuts and Jobs Act significantly affects US private companies with outbound investments EY Global Tax Alert Library Access both online and pdf versions of all EY

More information

Updated US list of foreign currency futures contracts starting point for Section 1256

Updated US list of foreign currency futures contracts starting point for Section 1256 31 January 2019 Global Tax Alert Updated US list of foreign currency futures contracts starting point for Section 1256 NEW! EY Tax News Update: Global Edition EY s new Tax News Update: Global Edition is

More information

Chief Counsel Advice concludes that accrued but unpaid interest constitutes an obligation of a US person for purposes of Section 956

Chief Counsel Advice concludes that accrued but unpaid interest constitutes an obligation of a US person for purposes of Section 956 11 September 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US IRS and Treasury issue guidance offering RICs with Section 853 elections alternative methods for handling foreign tax refunds

US IRS and Treasury issue guidance offering RICs with Section 853 elections alternative methods for handling foreign tax refunds 22 January 2016 International Tax Alert US IRS and Treasury issue guidance offering RICs with Section 853 elections alternative methods for handling foreign tax refunds EY Global Tax Alert Library Access

More information

US proposed GILTI regulations implement international tax reform changes

US proposed GILTI regulations implement international tax reform changes 17 September 2018 Global Tax Alert US proposed GILTI regulations implement international tax reform changes NEW! EY Tax News Update: Global Edition EY s new Tax News Update: Global Edition is a free, personalized

More information

US DC Circuit rejects per se bar on bearer shares under Section 883 income exclusion for international shipping and aircraft corporations

US DC Circuit rejects per se bar on bearer shares under Section 883 income exclusion for international shipping and aircraft corporations 21 August 2018 Global Tax Alert US DC Circuit rejects per se bar on bearer shares under Section 883 income exclusion for international shipping and aircraft corporations NEW! EY Tax News Update: Global

More information

Updated 2016 US IRC Section 1256 qualified board or exchange list

Updated 2016 US IRC Section 1256 qualified board or exchange list 25 January 2016 International Tax Alert Updated 2016 US IRC Section 1256 qualified board or exchange list EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

TaxNewsFlash. Proposed regulations: CFC s foreign currency gain or loss; election for mark-to-market accounting for section 988 transactions

TaxNewsFlash. Proposed regulations: CFC s foreign currency gain or loss; election for mark-to-market accounting for section 988 transactions TaxNewsFlash United States No. 2017-571 December 18, 2017 Proposed regulations: CFC s foreign currency gain or loss; election for mark-to-market accounting for section 988 transactions The U.S. Treasury

More information

US IRS releases proposed Qualified Intermediary Agreement

US IRS releases proposed Qualified Intermediary Agreement 7 July 2016 International Tax Alert US IRS releases proposed Qualified Intermediary Agreement EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your

More information

US Tax Court refuses to follow IRS guidance subjecting foreign investors to US tax on dispositions of partnership investments

US Tax Court refuses to follow IRS guidance subjecting foreign investors to US tax on dispositions of partnership investments 20 July 2017 Global Tax Alert US Tax Court refuses to follow IRS guidance subjecting foreign investors to US tax on dispositions of partnership investments EY Global Tax Alert Library Access both online

More information

US IRS and Treasury amend FIRPTA regulations to reflect PATH Act

US IRS and Treasury amend FIRPTA regulations to reflect PATH Act 23 February 2016 International Tax Alert US IRS and Treasury amend FIRPTA regulations to reflect PATH Act EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

US IRS concludes subsidiary not eligible for dividends received deduction as transaction lacked economic substance

US IRS concludes subsidiary not eligible for dividends received deduction as transaction lacked economic substance 11 October 2016 International Tax Alert US IRS concludes subsidiary not eligible for dividends received deduction as transaction lacked economic substance EY Global Tax Alert Library Access both online

More information

International Tax Alert

International Tax Alert 30 April 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US international tax provisions and implications of the Tax and Jobs Act

US international tax provisions and implications of the Tax and Jobs Act 6 November 2017 Global Tax Alert US international tax provisions and implications of the Tax and Jobs Act EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

Certain growing activities qualify as production activities for purposes of foreign base company sales income rules

Certain growing activities qualify as production activities for purposes of foreign base company sales income rules 23 October 2013 International Tax Alert Certain growing activities qualify as production activities for purposes of foreign base company sales income rules Executive summary On 21 October 2013, the Internal

More information

IRS applies Section 904(f) recapture exception to intercompany asset transfer preceding deconsolidation of transferee member

IRS applies Section 904(f) recapture exception to intercompany asset transfer preceding deconsolidation of transferee member 12 January 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

IRS notes in AM that US shareholder must increase earnings and profits in the year of a Section 951(a)(1) inclusion

IRS notes in AM that US shareholder must increase earnings and profits in the year of a Section 951(a)(1) inclusion 20 February 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

IRS rules consent fee paid on contingent payment debt instrument may result in a taxable exchange

IRS rules consent fee paid on contingent payment debt instrument may result in a taxable exchange 13 August 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US Tax Cuts and Jobs Act and its impact on technology sector

US Tax Cuts and Jobs Act and its impact on technology sector 26 December 2017 Global Tax Alert US Tax Cuts and Jobs Act and its impact on technology sector EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your

More information

Treasury and IRS finalize regulations under Section 909 foreign tax credit splitting events

Treasury and IRS finalize regulations under Section 909 foreign tax credit splitting events 13 February 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US regulations forthcoming on partnership nonrecognition of property contributions

US regulations forthcoming on partnership nonrecognition of property contributions 19 August 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

IRS rules on effect of Section 302(a) redemption on post E&P and foreign income tax pools

IRS rules on effect of Section 302(a) redemption on post E&P and foreign income tax pools 8 November 2013 International Tax Alert IRS rules on effect of Section 302(a) redemption on post- 1986 E&P and foreign income tax pools Executive summary On 30 September 2013, the Internal Revenue Service

More information

Exclusion of Foreign Currency Gain or Loss Related to Business Needs from. Foreign Personal Holding Company Income; Mark-to-Market Method of

Exclusion of Foreign Currency Gain or Loss Related to Business Needs from. Foreign Personal Holding Company Income; Mark-to-Market Method of This document is scheduled to be published in the Federal Register on 12/19/2017 and available online at https://federalregister.gov/d/2017-27320, and on FDsys.gov DEPARTMENT OF THE TREASURY Internal Revenue

More information

US IRS issues FAA F recharacterizing intercompany referral fee income and reallocating intercompany referral fee expenses

US IRS issues FAA F recharacterizing intercompany referral fee income and reallocating intercompany referral fee expenses 26 August 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US House tax reform bill would significantly affect life sciences sector

US House tax reform bill would significantly affect life sciences sector 13 November 2017 Global Tax Alert US House tax reform bill would significantly affect life sciences sector EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

Treasury and IRS plan to change rules for claiming refunds and credits for certain withholding taxes

Treasury and IRS plan to change rules for claiming refunds and credits for certain withholding taxes 4 May 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Treasury and IRS issues guidance on 2% tax on payments US government makes to foreign persons under certain contracts

Treasury and IRS issues guidance on 2% tax on payments US government makes to foreign persons under certain contracts 27 April 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US Senator Levin introduces bill to tighten inversion rules under Section 7874

US Senator Levin introduces bill to tighten inversion rules under Section 7874 2 June 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US IRS issues Section 871(m) transition rules

US IRS issues Section 871(m) transition rules 9 December 2016 International Tax Alert US IRS issues Section 871(m) transition rules EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser:

More information

US IRS is focusing on FATCA Intergovernmental Agreements currently in effect

US IRS is focusing on FATCA Intergovernmental Agreements currently in effect 8 August 2016 International Tax Alert US IRS is focusing on FATCA Intergovernmental Agreements currently in effect EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts.

More information

IRS issues instructions to Form W-8BEN-E

IRS issues instructions to Form W-8BEN-E 30 June 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

International Tax Alert. Executive summary

International Tax Alert. Executive summary 19 May 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

IRS issues final, temporary and proposed regulations on determining PFIC ownership and annual filing requirements for PFIC shareholders

IRS issues final, temporary and proposed regulations on determining PFIC ownership and annual filing requirements for PFIC shareholders 10 January 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

IRS issues instructions for requester of Forms W-8BEN, W-8BEN-E, W-8ECI, W-8EXP, and W-8IMY

IRS issues instructions for requester of Forms W-8BEN, W-8BEN-E, W-8ECI, W-8EXP, and W-8IMY 28 July 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

A deeper look at forthcoming US Treasury regulations affecting certain inversion transactions

A deeper look at forthcoming US Treasury regulations affecting certain inversion transactions 4 December 2015 International Tax Alert A deeper look at forthcoming US Treasury regulations affecting certain inversion transactions EY Global Tax Alert Library Access both online and pdf versions of

More information

IRS updates procedures for withholding foreign partnerships and withholding foreign trusts; coordinates rules with FATCA

IRS updates procedures for withholding foreign partnerships and withholding foreign trusts; coordinates rules with FATCA 15 August 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US tax reform: A guide to income tax accounting considerations

US tax reform: A guide to income tax accounting considerations 20 December 2017 Global Tax Alert US tax reform: A guide to income tax accounting considerations EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your

More information

US Senate Finance Committee Chairman s Mark of the Tax Cuts and Jobs Act: Energy sector implications

US Senate Finance Committee Chairman s Mark of the Tax Cuts and Jobs Act: Energy sector implications 14 November 2017 Global Tax Alert US Senate Finance Committee Chairman s Mark of the Tax Cuts and Jobs Act: Energy sector implications EY Global Tax Alert Library Access both online and pdf versions of

More information

United States and Vietnam sign first income tax treaty

United States and Vietnam sign first income tax treaty 15 July 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Temporary regulations issued regarding treatment of certain stock of a foreign corporation under Section 7874

Temporary regulations issued regarding treatment of certain stock of a foreign corporation under Section 7874 23 January 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Client Alert December 20, 2017

Client Alert December 20, 2017 Tax News and Developments North America Client Alert December 20, 2017 Treasury Releases Important New Currency Regulations Regulations Resolve Many Currency Issues On December 18, 2017, the U.S. Treasury

More information

Third Circuit US Court of Appeals holds UK windfall profits tax not a creditable income tax for US foreign tax credit purposes

Third Circuit US Court of Appeals holds UK windfall profits tax not a creditable income tax for US foreign tax credit purposes 5 January 2012 International Tax Alert Get the world to go! You can access corporate income tax rates of over 65 countries for multiple years using your mobile device: Type into your web browser: www.ey.mobi/its/rates

More information

Report released by top US Senate Finance Committee Republican calls for international tax reform

Report released by top US Senate Finance Committee Republican calls for international tax reform 22 December 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

US Treasury Department releases 2016 US Model Treaty including new provisions to combat base erosion and profit shifting

US Treasury Department releases 2016 US Model Treaty including new provisions to combat base erosion and profit shifting 26 February 2016 International Tax Alert US Treasury Department releases 2016 US Model Treaty including new provisions to combat base erosion and profit shifting EY Global Tax Alert Library Access both

More information

FY 2016 Budget international tax proposals have implications for inbound investors

FY 2016 Budget international tax proposals have implications for inbound investors 17 February 2015 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Hong Kong releases new practice note on concessionary tax regime for qualifying aircraft leasing activities

Hong Kong releases new practice note on concessionary tax regime for qualifying aircraft leasing activities 10 November 2017 Global Tax Alert Hong Kong releases new practice note on concessionary tax regime for qualifying aircraft leasing activities EY Global Tax Alert Library Access both online and pdf versions

More information

CFC income from software leases determined to be foreign personal holding company income

CFC income from software leases determined to be foreign personal holding company income 18 July 2013 CFC income from software leases determined to be foreign personal holding company income Executive summary On 15 July 2013, the Internal Revenue Service (the Service) released Field Attorney

More information

US Tax Cuts and Jobs Act and its impact on the energy sector

US Tax Cuts and Jobs Act and its impact on the energy sector 29 December 2017 Global Tax Alert US Tax Cuts and Jobs Act and its impact on the energy sector EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your

More information

Ireland s Country-by- Country reporting notification deadline is 31 December 2016

Ireland s Country-by- Country reporting notification deadline is 31 December 2016 12 December 2016 Global Tax Alert News from Transfer Pricing Ireland s Country-by- Country reporting notification deadline is 31 December 2016 EY Global Tax Alert Library Access both online and pdf versions

More information

What you need to know about the final FFI Agreement

What you need to know about the final FFI Agreement 3 January 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Global Tax Alert. Spain proposes amendments to the Spanish ETVE and participation exemption regimes. Executive summary. Detailed discussion

Global Tax Alert. Spain proposes amendments to the Spanish ETVE and participation exemption regimes. Executive summary. Detailed discussion 12 September 2014 EY Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International- Tax/Tax-alert-library#date

More information

IRS rules on application of manufacturing exception where sales activities did not include taking of title

IRS rules on application of manufacturing exception where sales activities did not include taking of title 1 July 2013 IRS rules on application of manufacturing exception where sales activities did not include taking of title Executive summary In a private letter ruling (PLR 201325005), the Internal Revenue

More information

Establishing and Operating Treasury Centers

Establishing and Operating Treasury Centers Establishing and Operating Centers Taxation of Financial Products and Transactions 2015 Practicing Law Institute New York City January 8, 2015 Paul J. Crispino, General Electric Liz G. Hale, E&Y L.G. Chip

More information

OECD updates its guidance on Country-by- Country Reporting

OECD updates its guidance on Country-by- Country Reporting 7 April 2017 Global Tax Alert OECD updates its guidance on Country-by- Country Reporting EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web

More information

OECD releases the United States peer review report on implementation of BEPS Action 14 minimum standards

OECD releases the United States peer review report on implementation of BEPS Action 14 minimum standards 2 October 2017 Global Tax Alert OECD releases the United States peer review report on implementation of BEPS Action 14 minimum standards EY Global Tax Alert Library Access both online and pdf versions

More information

Canada: Yukon issues budget

Canada: Yukon issues budget 28 April 2017 Global Tax Alert News from Americas Tax Center Canada: Yukon issues budget 2017-18 EY Global Tax Alert Library The EY Americas Tax Center brings together the experience and perspectives of

More information

UK publishes draft clauses and other Documents under Finance Bill 2018

UK publishes draft clauses and other Documents under Finance Bill 2018 15 September 2017 Global Tax Alert UK publishes draft clauses and other Documents under Finance Bill 2018 EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy

More information

OECD releases interim report on the tax challenges arising from digitalization

OECD releases interim report on the tax challenges arising from digitalization 16 March 2018 Global Tax Alert OECD releases interim report on the tax challenges arising from digitalization EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts.

More information

Belgium introduces 100% participation exemption

Belgium introduces 100% participation exemption 20 March 2018 Global Tax Alert Belgium introduces 100% participation exemption EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: www.ey.com/taxalerts

More information

OECD launches International Compliance Assurance Programme pilot

OECD launches International Compliance Assurance Programme pilot 26 January 2018 Global Tax Alert OECD launches International Compliance Assurance Programme pilot EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into

More information

South African Revenue Service releases public notice on recordkeeping for transfer pricing transactions

South African Revenue Service releases public notice on recordkeeping for transfer pricing transactions 9 November 2016 Global Tax Alert News from Transfer Pricing South African Revenue Service releases public notice on recordkeeping for transfer pricing transactions EY Global Tax Alert Library Access both

More information

Japan releases guidance on transfer pricing documentation requirements

Japan releases guidance on transfer pricing documentation requirements 7 June 2016 Global Tax Alert News from Transfer Pricing Japan releases guidance on transfer pricing documentation requirements EY Global Tax Alert Library Access both online and pdf versions of all EY

More information

Puerto Rico extends automatic extension period for filing a 2017 tax return from three months to six months

Puerto Rico extends automatic extension period for filing a 2017 tax return from three months to six months 17 April 2018 Global Tax Alert News from Americas Tax Center Puerto Rico extends automatic extension period for filing a 2017 tax return from three months to six months EY Global Tax Alert Library The

More information

IRS issues guidance on treatment under Sections 482 and 901 of transactions with foreign branches or disregarded entities

IRS issues guidance on treatment under Sections 482 and 901 of transactions with foreign branches or disregarded entities 12 December 2013 International Tax Alert News from Transfer Pricing EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/

More information

Hong Kong and India sign income tax treaty

Hong Kong and India sign income tax treaty 28 March 2018 Global Tax Alert Hong Kong and India sign income tax treaty EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: www.ey.com/taxalerts

More information

Singapore enacts transfer pricing documentation requirements and publishes updated transfer pricing guidelines

Singapore enacts transfer pricing documentation requirements and publishes updated transfer pricing guidelines 26 March 2018 Global Tax Alert News from Transfer Pricing Singapore enacts transfer pricing documentation requirements and publishes updated transfer pricing guidelines EY Global Tax Alert Library Access

More information

Japan and Chile sign income tax treaty

Japan and Chile sign income tax treaty 28 January 2016 Global Tax Alert Japan and Chile sign income tax treaty EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: www.ey.com/taxalerts

More information

US IRS limits use of mandatory transfer pricing IDR and instructs examiners on penalties in transfer pricing cases

US IRS limits use of mandatory transfer pricing IDR and instructs examiners on penalties in transfer pricing cases 24 January 2018 Global Tax Alert News from Transfer Pricing US IRS limits use of mandatory transfer pricing IDR and instructs examiners on penalties in transfer pricing cases EY Global Tax Alert Library

More information

Canada: Ontario Ministry of Finance seeks input on proposals to facilitate compliance with the Land Transfer Tax Act

Canada: Ontario Ministry of Finance seeks input on proposals to facilitate compliance with the Land Transfer Tax Act 24 July 2017 Indirect Tax Alert News from Americas Tax Center Canada: Ontario Ministry of Finance seeks input on proposals to facilitate compliance with the Land Transfer Tax Act EY Global Tax Alert Library

More information

OECD releases Switzerland s peer review report on implementation of BEPS Action 14 minimum standards

OECD releases Switzerland s peer review report on implementation of BEPS Action 14 minimum standards 19 October 2017 Global Tax Alert OECD releases Switzerland s peer review report on implementation of BEPS Action 14 minimum standards EY Global Tax Alert Library Access both online and pdf versions of

More information

Norway to impose new tax liability rules and requirements for applying reduced withholding tax rate on dividend payments to foreign shareholders

Norway to impose new tax liability rules and requirements for applying reduced withholding tax rate on dividend payments to foreign shareholders 28 March 2017 Global Tax Alert Norway to impose new tax liability rules and requirements for applying reduced withholding tax rate on dividend payments to foreign shareholders EY Global Tax Alert Library

More information

Pakistan implements formal transfer pricing documentation and Country-by- Country Reporting requirements

Pakistan implements formal transfer pricing documentation and Country-by- Country Reporting requirements 7 August 2017 Global Tax Alert News from Transfer Pricing Pakistan implements formal transfer pricing documentation and Country-by- Country Reporting requirements EY Global Tax Alert Library Access both

More information

Global Tax Alert. OECD releases report under BEPS Action 2 on hybrid mismatch arrangements. Executive summary

Global Tax Alert. OECD releases report under BEPS Action 2 on hybrid mismatch arrangements. Executive summary 23 September 2014 EY Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International- Tax/Tax-alert-library#date

More information

International Tax Update

International Tax Update International Tax Update Stephen Bates Jose Murillo Cynthia Yu 3 May 2016 Disclaimers This presentation is provided solely for the purpose of enhancing knowledge on tax matters. It does not provide tax

More information

11th Annual Domestic Tax Conference. 17 May 2016 Chicago

11th Annual Domestic Tax Conference. 17 May 2016 Chicago 11th Annual Domestic Tax Conference 17 May 2016 Chicago Current issues in Treasury risk management Disclaimer EY refers to the global organization, and may refer to one or more, of the member firms of

More information

US taxpayers seeking unilateral APAs with Mexico for maquiladoras will not be subject to double taxation as long as certain requirements are met

US taxpayers seeking unilateral APAs with Mexico for maquiladoras will not be subject to double taxation as long as certain requirements are met 20 October 2016 International Tax Alert News from Transfer Pricing US taxpayers seeking unilateral APAs with Mexico for maquiladoras will not be subject to double taxation as long as certain requirements

More information

New anti-base erosion and anti-inversion international tax proposals included in the Administration s fiscal year 2015 Budget

New anti-base erosion and anti-inversion international tax proposals included in the Administration s fiscal year 2015 Budget 28 March 2014 International Tax Alert EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: http://www.ey.com/gl/en/ Services/Tax/International-

More information

Canada: Prince Edward Island issues budget

Canada: Prince Edward Island issues budget 10 April 2018 Global Tax Alert News from Americas Tax Center Canada: Prince Edward Island issues budget 2018-19 EY Global Tax Alert Library The EY Americas Tax Center brings together the experience and

More information

Ireland publishes Independent Review of Irish Corporate Tax Code

Ireland publishes Independent Review of Irish Corporate Tax Code 14 September 2017 Global Tax Alert Ireland publishes Independent Review of Irish Corporate Tax Code EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into

More information

Spain to require maintenance and submission of VAT books by electronic means

Spain to require maintenance and submission of VAT books by electronic means 24 November 2015 Indirect Tax Alert Spain to require maintenance and submission of VAT books by electronic means EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts.

More information