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Insights & Resources

Start exploring insights from across the industries we serve, featuring the latest industry trends, compliance alerts, tax and accounting news and much more.

Doing business in the United States presents a host of tax opportunities for internationally based companies. Learn more about the incentives and savings.
Weaver's team covers the top issues across our Specialty Tax Services, including State and Local Tax (SALT), Transactions, Tax Provisions, Tax Credits and more.
Learn how the IRS assessment of “implicit support” will affect its scrutiny of intercompany loans for multinational firms.
Weaver's Specialty Tax Services team covers the top issues across our Specialty Tax Services, including State and Local Tax (SALT), Fixed Assets, Tax Provisions and Transaction Tax Advisory.
Counties can impose surcharge when pipeline companies claim IRC Section 45Q carbon capture & sequestration tax credit on pipelines passing through their jurisdiction.
Weaver's Specialty Tax Services team brings you an update of current issues in SALT, International Tax and Transfer Pricing, Transaction Tax Advisory, and more.
Undyed diesel fuel that is exempt from the Florida fuel tax by way of refund is subject to the Florida sales and use tax, a Florida administrative court found.
Once you have accepted an assignment to work abroad, it is never too early to prepare for your move. You will need to consider questions big and small to ensure a smooth transition. Weaver's professionals highlight a few areas to consider. 
Microsoft is disputing a $28.9 billion tax claim by the IRS for a decade-long transfer pricing audit, while the IRS is also focusing on cross-border compliance.
The biofuels industry suffered a blow in the Chemoil case which pitted the alcohol fuel mixture credit against the economic substance doctrine.
Transfer pricing is commonly viewed as an international issue, but certain state tax authorities are beginning to scrutinize domestic related-party transactions.
Recent news about transfer pricing includes the IRS’ interim guidance for evaluating the suitability of APA requests.
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