A whistleblower advocacy group is urging DOGE to consider changes to the IRS Whistleblower Office, including having it work more closely with whistleblowers and eliminating arbitrary limitations on the program it oversees.
Tax Notes
期刊出版业
Falls Church,Virginia 77,997 位关注者
Your #1 source for everything tax. News, commentary, analysis. Nonprofit, nonpartisan organization.
关于我们
Tax Notes is the first source of essential daily news, analysis, and commentary for tax professionals whose success depends on being trusted for their expertise. Tax Analysts, our parent company, is an influential provider of tax news and analysis for the global community. Over 150,000 tax professionals in law and accounting firms, corporations, and government agencies rely on Tax Analysts' federal, state, and international content daily. Key products include Tax Notes, Tax Notes Today, State Tax Notes, State Tax Today, Tax Notes International, and Worldwide Tax Daily. Founded in 1970 as a nonprofit organization, Tax Analysts has the industry's largest tax-dedicated correspondent staff, with more than 250 domestic and international correspondents.
- 网站
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https://www.taxnotes.com
Tax Notes的外部链接
- 所属行业
- 期刊出版业
- 规模
- 51-200 人
- 总部
- Falls Church,Virginia
- 类型
- 非营利机构
- 创立
- 1970
- 领域
- tax、tax news、tax law、tax policy、taxes、transparency、FOIA、tax commentary和tax analysis
地点
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主要
400 S Maple Ave
US,Virginia,Falls Church,22046
Tax Notes员工
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Tatiana Falc?o
International and Environmental Tax Expert ? Ph.D (WU) ? LL.M (NYU) ? LL.M (Cambridge)
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Katie Lobosco
Capitol Hill Reporter @ Tax Notes| Economic Policy, Journalism
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Kathleen Murphy
journalist On Signal @murph.42
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Jared Walczak
Vice President of State Projects at the Tax Foundation
动态
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Tax Notes转发了
Companies House, the U.K. company registrar, and HM Revenue & Customs have announced that they will close their online accounts and company tax return joint filing service March 31, 2026. Thanks to Emma Rawson of the The Association of Taxation Technicians for commentary in my report for Tax Notes:
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"Extending the TCJA tax cuts is a primary focus of the Trump administration. With the United States’ growing debt and deficit, however, trade-offs may need to be made during the legislative process. "Businesses need to be well-versed in how the expiration of various provisions would affect their tax liabilities so they can share this information with both policymakers and their stakeholders." ?? On the cover of Tax Notes Federal: Robert J. Carroll, Brandon M. Pizzola, and Hilary Gelfond-Gross analyze how businesses would be affected by the expiration of Tax Cuts and Jobs Act provisions.
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Tax Notes转发了
Having advised on crypto comp plans since the dawn of (crypto) time—2017 to be exact—my experience of working through these knotty issues inspired me to write this article for Tax Notes. Carol Wang and I started drafting this article a couple of years back until we finally kept to a deadline! In this piece, among other topics, we tackle one of the thorniest issues startup crypto projects face: the tax treatment of contracts for future tokens. If you’re tired of losing sleep over cryptic tax rules, check out the link below. #crypto #cryptocomp #tokencomp
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Two officials tasked with overseeing the IRS’s massive infusion of funding from the Inflation Reduction Act have departed the agency. IRS Chief Transformation and Strategy Officer David Padrino and Chief IRA Implementation Officer Jonathan Warsh resigned from their posts as of March 7, according to a person familiar with the moves. Padrino and Warsh both joined the IRS in 2023 shortly after the confirmation of then-Commissioner Daniel Werfel, who President Biden picked to lead the agency’s transformation efforts using nearly $80 billion in special funding from the IRA — an amount that has since been clawed back by $20.2 billion, with another $20.2 billion currently frozen under the government funding bill. The departures call into question the future of the IRS’s strategic operating plan, which Padrino’s office was tasked with overseeing. Read the full story ?? (Photo by Pgiam from Getty Images Signature)
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Tax Notes转发了
Financial markets and industries across the United States have been rattled by the current administration's back-and-forth on #tariffs. In my article that was published in Tax Notes a few weeks back, I examine the history of tariffs and how multinational companies can utilize transfer pricing to mitigate tariff impacts. Please contact my Pierce Atwood LLP #tax colleagues and me on how transfer pricing and effective tax planning can help mitigate tariff impacts.
The current administration’s whipsaw of imposed and withdrawn #tariffs continues to rattle financial markets and industries across the U.S. In New England, annual trade of goods and services with Canada exceeds $42 billion. A 25% on Canadian imported goods would dramatically impact the region’s trade relationship. In his article published in Tax Notes International, firm #tax attorney Allen S. Braddock looks at the history of tariffs and how transfer pricing can be used to mitigate their potential affects.
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In the third of a three-part series, Damien Martin and Tony Nitti of EY discuss their top tax cases from 2024, focusing on two C corp cases: Ju et al v. United States and Stead v. Commissioner. And in case you missed parts one and two... ?? ?? Part 1, Partnerships: https://lnkd.in/eB3zGhjq ?? Part 2, S Corporations: https://lnkd.in/esSXThwM
Top Tax Cases of 2024, Part 3: C Corporations
https://www.youtube.com/
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Tax Notes转发了
What do you do when you become concerned that a client might be contemplating going beyond lawful tax planning, might have already done so, or might have triggered IRS criminal scrutiny? In my most recent?Tax Notes?article (link in the comments), former head of IRS-CI Jim Lee and I discuss four recent tax cases that turned criminal and the potential lessons tax practitioners can learn. For those who cannot access it, I will make the full article available soon.
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Tax Notes转发了
In this week's issue of Tax Notes State, Eric J. Coffill and Megan Long explore California Gov. Gavin Newsom's proposal to use single-sales-factor apportionment for taxing banks, an approach they conclude would favor in-state financial institutions. Read on for more: <https://lnkd.in/ebpFGXx2> Further insights from and thanks to: Bob Rojas and Mike Pusey, for discussing how taxpayers affected by the recent LA wildfires should plan for tax and relief aspects of the disaster; Rachael High Chamberlain, for reviewing the controversy surrounding Kentucky's gold bullion sales tax exemption; and Billy Hamilton, for examining efforts to move away from historic reliance on the steel industry in Gary, Indiana.
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The United States’ opposition to global minimum tax rules will put the EU economy at a disadvantage, so the EU should temporarily shelve its pillar 2 directive, the Federation of German Industries (BDI) said. In a March 7 position paper, the BDI expressed concern about the United States’ recent withdrawal from the OECD’s global tax deal through President Trump’s January 20 memorandum. The memorandum directed administration officials to investigate whether other countries are complying with tax treaties they have with the United States and whether other countries enforce extraterritorial taxes that discriminate against U.S. companies. The paper also pointed to a separate memorandum from January 20 that refers to IRC section 891. Section 891 would double tax rates for citizens and corporations of foreign countries that have discriminatory or extraterritorial taxes. Another concerning development is the reintroduction of proposed legislation from Republican lawmakers that would hit back at the pillar 2 undertaxed profits rule and digital services taxes, according to the paper. Read the full story from Stephanie Soong. ?? (Photo by princigalli from Getty Images)