
Insight Article
European anti-hybrid laws target common U.S. holding structures
Some European member states are extending the application of the anti-hybrid rules to common non-abusive structures.
Some European member states are extending the application of the anti-hybrid rules to common non-abusive structures.
Tax planning opportunities for consideration in light of COVID-19, the resulting economic crisis, and evolving tax laws and regulations.
Legislation relating to the Base Erosion and Profit Shifting (BEPS) Action Items has resulted in expanded tax due diligence engagements.
A guide for multinational corporations regarding country-by-country reporting questions and base erosion profit shifting.
Read RSM partner Daniel Berman interview with BEPS Global Currents regarding the OECD BEPS Multilateral Instrument.
As part of Germany’s efforts to implement the OECD’s BEPS Action Plan, expense deductions will be limited for payments after Dec. 31, 2017.
BEPS Action Item 13 provides new guidance for transfer pricing documentation and country-by-country reporting for US multinationals.
Learn a straightforward six-step process to help U.S. multinationals address new IRS country-by-country reporting requirements.
RSM’s Lisa Pinchin advises on BEPS following project role at OECD
International tax planning is more than foreign tax compliance. Learn why BEPS, transfer pricing and more matter when going global.