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One year after OBBBA’s passage, corporate and international tax changes are actively shaping business decisions and planning approaches.
Learn about tax updates in Weaver’s Q2 2026 specialty tax services newsletter, including SALT changes, penalty relief developments and OBBBA impacts.
Discover how the One Big Beautiful Bill Act is reshaping global tax structures and U.S. tax planning considerations. Tune in for practical insights.
U.S. export incentives just became more valuable for C-corporations. Learn how recent tax law changes can drive permanent cash tax savings.
Section 250 export incentive updates potentially increase benefit for C-corporations. Explore planning strategies to maximize this permanent tax benefit.
Section 951A updates are changing how deemed dividends impact U.S. shareholders. Explore what’s new and strategies to manage risk effectively.
Revenue Procedure 2026-17 allows taxpayers to revisit prior elections and may allow increased interest deductions under updated rules.
Weaver’s Josh Finfrock discusses the Pepsi v. Illinois case and what it reveals about economic substance, transfer pricing and state tax planning.
A Supreme Court ruling has opened the door to tariff refunds. Here’s what recent updates mean for importers and potential claims.
Learn more about India’s new 15.5% transfer pricing safe harbor and its implications for U.S. multinationals.
Learn how the Supreme Court’s IEEPA ruling affects tariffs, refunds and transfer pricing, including income tax implications for companies.
Explore key updates in Weaver’s Q1 2026 specialty tax services newsletter — from sales tax and tax credits to fixed assets and international tax.