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On this episode of Weaver: Beyond the Numbers, Vince Houk and Josh Finfrock dive into the export incentive under FDII and what that can mean for your organization.
Boards and management should examine how traditional and emerging risks, especially generative AI and other new technology, may affect their operations.
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.
IRS signs competent authority arrangements ensuring that taxpayers will maintain favorable treatment in income tax treaties with Denmark, Luxembourg, Malta & Mexico.
On this episode of Weaver: Beyond the Numbers, Vince Houk and Josh Finfrock discuss the tax opportunities for businesses with cross-border activities. Tune in.
Recent news about transfer pricing includes Brazilian transfer pricing rules, migration of intangible assets and IRS guidance for financial transactions.
Real Estate Investment Trusts (REITs) are subject to a number of transfer pricing rules and, when applicable, to onerous penalties. Learn about the requirements.
Skechers was found to owe more than $1M in taxes after losing a transfer pricing dispute that involved a royalty expense taken as a tax deduction.
U.S. investors run a risk of diminishing returns if they do not understand how PFIC rules apply to foreign investments. Learn about the tax consequences.
Increased IRS funding may mean greater attention from IRS auditors to transfer pricing, which has been the target of political & public concerns over tax avoidance.
Find out why U.S. multinationals with Australian operations can potentially be subject to double taxation based on Australia’s “hybrid mismatch rules.”