International

  • June 26, 2025

    Agreement Reached To Cut 'Revenge' Tax From Budget Bill

    A proposal designed to protect U.S. multinational corporations from paying higher taxes abroad will be stripped from the GOP's budget reconciliation bill pending an agreement with the Group of Seven nations announced Thursday by the U.S. Treasury Department, leaders of House and Senate tax committees said. 

  • June 26, 2025

    Israeli Tax Firm Can't Sue US Over Regs, Gov't Says

    A U.S. attorney and his Israeli tax firm can't sue the U.S. Treasury Department over regulations related to taxing overseas income because the underlying law — not the regulations — is the source of their claimed injuries, the U.S. government told a D.C. federal court.

  • June 26, 2025

    European Commission Loses Appeal Over Spanish Tax Break

    Spain can grant tax deductions to companies buying out foreign businesses despite the European Commission's decision that this counts as illegal state aid, the Court of Justice of the European Union affirmed Thursday.

  • June 26, 2025

    EU Relaxes State Aid Rules For Clean Energy Investments

    The European Union has adopted a framework that allows governments to bypass rules limiting state aid to invest in the rollout of so-called clean energy technologies and allows companies to more expeditiously deduct related investments, the bloc's executive branch said. 

  • June 26, 2025

    2 Arrested In €66M 'Designer Fuel' VAT Fraud Scheme

    The European Public Prosecutor's Office arrested two people suspected of participating in a criminal scheme that traded in what are known as designer fuels to evade €66 million ($77.2 million) in value-added taxes, the office said.

  • June 26, 2025

    36 Jurisdictions Making Progress Toward Dispute Resolutions

    The Organization for Economic Cooperation and Development found 36 jurisdictions' tax treaty networks to be largely in line with OECD dispute resolution standards, or are working to do so, the organization said Thursday.

  • June 26, 2025

    UK Landfill Tax Diverts Waste Effectively, Report Says

    The U.K.'s landfill tax has largely worked as intended, a report commissioned by HM Revenue & Customs said Thursday, pointing to what it discovered as a correlation between the introduction of the levy and the reduction of waste sent to landfills.

  • June 25, 2025

    Trade Court Cannot Stop Trump's Tariffs, Gov't Tells Fed. Circ.

    The U.S. Court of International Trade hamstrung President Donald Trump in ongoing global trade negotiations when it blocked emergency tariffs he had imposed and deemed them unlawful, the government told the Federal Circuit on Tuesday, urging it to reverse the lower court's ruling.

  • June 25, 2025

    EU Arranging €150B VAT-Free Defense Spending, Official Says

    The European Union is setting up an international body to qualify for a value-added tax exemption on €150 billion ($175 billion) in military spending on equipment primarily produced in the EU or Ukraine, a top EU VAT policy official said Wednesday.

  • June 25, 2025

    EU Court Rules German Tax Deduction Not State Aid

    The German government's tax deduction offered to a casino does not constitute illegal state aid, a European Union court ruled Wednesday in dismissing an appeal brought by a gambling trade group and a slot machine operator.

  • June 25, 2025

    European Union's Tax Revenue Falls, Commission Says

    Tax revenue has declined across the European Union, with environmental and property taxes raising less revenue, while the value-added tax gap stands at €89 billion ($103.6 billion), the European Commission reported. 

  • June 25, 2025

    UAE Publishes Mutual Agreement Procedure Guidance

    The United Arab Emirates published guidance that clarifies timelines and other procedural matters regarding the mutual agreement procedure process designed to help resolve cross-border tax disputes involving multinational corporations.

  • June 25, 2025

    UK Adding E-Money Firms To Automatic Info Swaps

    Forthcoming regulations will require financial institutions in the U.K. that deal with electronic money to share information about customers under international agreements covering the automatic exchange of information between tax authorities, HM Revenue & Customs said Wednesday.

  • June 25, 2025

    EisnerAmper Adds International Tax Pro To Minneapolis Office

    EisnerAmper has expanded its international tax services group with a new partner who helps individual and corporate clients navigate legislation, regulatory risks and compliance obligations.

  • June 25, 2025

    Finland Considering Offshore Wind, Mining Tax Changes

    Finland is looking to bring its property taxes on offshore wind farms in line with such taxes for onshore facilities, the country's finance ministry said Wednesday, while also considering a plan to increase taxes on mined minerals.

  • June 25, 2025

    UK Crypto Reporting Expected To Generate £315M By 2030

    The U.K.'s adoption of the Organization for Economic Cooperation and Development's crypto-asset reporting framework is expected to increase tax revenues by £315 million ($430 million) over four tax years starting in 2026-27, HM Revenue & Customs said Wednesday.

  • June 25, 2025

    11 Arrested In €520M VAT Fraud Investigation, EPPO Says

    Italian authorities arrested 11 people in Italy on suspicion that they participated in a massive €520 million ($604 million) value-added tax fraud scheme tied to mafia operations, the European Public Prosecutor's Office said.

  • June 24, 2025

    30 Groups Call For Fixes To Steel, Aluminum Tariff Regime

    The U.S. Department of Commerce should improve the process under which steel and aluminum imports are subject to tariffs to minimize unintended consequences, the National Foreign Trade Council and other industry groups said in a letter released Tuesday.

  • June 24, 2025

    GOP Budget Would Protect US From OECD Taxes, Rep. Says

    Senate tax writers working on the $3.8 trillion budget reconciliation bill should support its international tax provisions intended to protect U.S. multinationals from paying higher taxes under the OECD's framework, a House Ways and Means Committee member said Tuesday.

  • June 24, 2025

    US Won't Stand In Way Of Domestic Min. Taxes, Official Says

    The U.S. government wants to preserve other nations' ability to levy domestic minimum taxes on American multinational corporations' local income while ensuring countries can't apply international rules to make those companies pay a minimum rate everywhere they operate, a U.S. Treasury Department official said Tuesday.

  • June 24, 2025

    UK Farmers Seek Judicial Review Of Inheritance Tax Changes

    A group of farmers and family-owned businesses is taking the U.K. government to court over changes to the inheritance tax to remove exemptions for agricultural land, the firm representing the farmers announced Tuesday.

  • June 24, 2025

    Eaton Urges 6th Circ. To Shield Worker Reviews From IRS

    An Ohio federal judge should have shielded Eaton Corp.'s evaluations of more than a dozen overseas workers from an IRS investigation of the company's sale of intellectual property, not just the records for workers whose jobs were unrelated to the tax issue, the company told the Sixth Circuit.

  • June 24, 2025

    Drilling Contractor Loses £9.9M Tax Case At UK Top Court

    HM Revenue & Customs was right to restrict tax deductions worth £9.9 million ($13.4 million) to a drilling contractor over North Sea oil and gas activities, the U.K. Supreme Court ruled Tuesday.

  • June 23, 2025

    US Rules On Amount B 'May Take Some Time,' Official Says

    A team is working on draft Internal Revenue Service regulations implementing the simplified transfer pricing approach for baseline marketing and distribution activities known as Amount B, a U.S. Treasury official said Monday, adding that the guidance "may take some time" given the project's unusual origins.

  • June 23, 2025

    Talks Ongoing On EU Digital Tax, Italian Official Says

    The European Union is continuing to discuss the possibility of adopting a blocwide digital services tax, Italy's top international tax official said Monday.

Expert Analysis

  • Jurisdictional Issues At Play In 9th Circ.'s FCA Trade Case

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    A decision by the Ninth Circuit in Island Industries v. Sigma Corp. could result in the U.S. Court of International Trade’s exclusive jurisdiction over trade-related FCA cases, a big shift in the enforcement landscape just as tariffs take center stage in trade policy, say attorneys at Haynes Boone.

  • Evolving Federal Rules Pose Further Obstacles To NY LLC Act

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    Following the Financial Crimes Enforcement Network's recent changes to beneficial ownership information reporting under the federal Corporate Transparency Act — dramatically reducing the number of companies required to make disclosures — the utility of New York's LLC Transparency Act becomes less apparent, say attorneys at Pillsbury.

  • Reassessing Corporate Separateness After Explosion Of LLCs

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    Following the dramatic increase of limited liability companies in the U.S., the Corporate Transparency Act's enactment and the Trump administration's subsequent narrowing of that law, it's worth revisiting the underlying legal principles that govern shell companies in order to remedy the problems that initially motivated the CTA, says Jeff Newton at Omni Bridgeway.

  • Crisis Management Lessons From The Parenting Playbook

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    The parenting skills we use to help our kids through challenges — like rehearsing for stressful situations, modeling confidence and taking time to reset our emotions — can also teach us the fundamentals of leading clients through a corporate crisis, say Deborah Solmor at the Wisconsin Alumni Research Foundation and Cara Peterman at Alston & Bird.

  • Adapting To Private Practice: From NY Fed To BigLaw

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    While the move to private practice brings a learning curve, it also brings chances to learn new skills and grow your network, requiring a clear understanding of how your skills can complement and contribute to a firm's existing practice, and where you can add new value, says Meghann Donahue at Covington.

  • Top 3 Litigation Finance Deal-Killers, And How To Avoid Them

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    Like all transactions, litigation finance deals can sometimes collapse, but understanding the most common reasons for failure, including a lack of trust or a misunderstanding of deal terms, can help both parties avoid problems, say Rebecca Berrebi at Avenue 33 and Boris Ziser at Schulte Roth.

  • A 2-Step System For Choosing A Digital Asset Reporting Path

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    Under the Internal Revenue Service's new digital asset reporting regulation, each type of asset may have three potential reporting destinations, so a detailed testing framework can help to determine the appropriate path, says Keval Sonecha at Sonecha & Amlani.

  • How Attys Can Use A Therapy Model To Help Triggered Clients

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    Attorneys can lean on key principles from a psychotherapeutic paradigm known as the "Internal Family Systems" model to help manage triggered clients and get settlement negotiations back on track, says Jennifer Gibbs at Zelle.

  • 3 Steps For In-House Counsel To Assess Litigation Claims

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    Before a potential economic downturn, in-house attorneys should investigate whether their company is sitting on hidden litigation claims that could unlock large recoveries to help the business withstand tough times, says Will Burgess at Hilgers Graben.

  • IRS And ICE Info Sharing Could Drive Payroll Tax Enforcement

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    Tax crimes are historically difficult to prosecute, but the Internal Revenue Services’ recent agreement with U.S. Immigration and Customs Enforcement to share taxpayer records of non-U.S. citizens could be used to enhance payroll tax-related enforcement against their employers, say attorneys at Holland & Knight.

  • Adapting To Private Practice: From DOJ Enviro To Mid-Law

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    Practitioners leaving a longtime government role for private practice — as when I departed the U.S. Department of Justice’s environmental enforcement division — should prioritize finding a firm that shares their principles, values their experience and will invest in their transition, says John Cruden at Beveridge & Diamond.

  • Legal Ethics Considerations For Law Firm Pro Bono Deals

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    If a law firm enters into a pro bono deal with the Trump administration in exchange for avoiding or removing an executive order, it has an ethical obligation to create a written settlement agreement with specific terms, which would mitigate some potential conflict of interest problems, says Andrew Altschul at Buchanan Angeli.

  • 10 Arbitrations And A 5th Circ. Ruling Flag Arb. Clause Risks

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    The ongoing arbitral saga of Sullivan v. Feldman, which has engendered proceedings before 10 different arbitrators in Texas and Louisiana along with last month's Fifth Circuit opinion, showcases both the risks and limitations of arbitration clauses in retainer agreements for resolving attorney-client disputes, says Christopher Blazejewski at Sherin and Lodgen.

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