This article responds to the notice of proposed rulemaking under sections 861 and 904 (REG105495-19) published in the Federal Register December 17, 2019 (the proposed regulations). The proposed regulations would not allocate U.S. shareholder deductions for research and development or experimentation (R&D or R&E) expenditures under section 174 (R&D deductions) to a gross income inclusion under section 951 (subpart F inclusion) or section 951A (global intangible low-taxed income)1 from a controlled foreign corporation for foreign tax credit limitation purposes
The purpose of this paper has been to extend the range of consequences implied by government regulat...
This article examines the Treasury’s 2017 proposals refining Section 170(h). This article assesses t...
The changes to the R&D tax concession in 2011 were touted as the biggest reform to business innovati...
This article responds to the notice of proposed rulemaking under sections 861 and 904 (REG105495-19)...
Recent tax law changes concerning research and development (R&D) expenditures favorably impact many ...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
Governments across developed and developing economies try to encourage firms to invest in Research a...
The U.S. government has long included in its tax code various special provisions designed to stimula...
Because of the importance of technological innovation to economic growth, nations strive to stimulat...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
Business investment in research and development (R&D) is widely recognized as providing benefits to ...
This article explores whether exceptions from Asset-capitalization and rational tax depreciation rat...
Research and development (R&D) activity has long held a privileged place in the U.S. income tax syst...
'Backing Australia's Ability the Federal Government's Innovation Policy announcement released on 29 ...
This article is a follow up to our New Incentives for R&D - Recent Changes to R&D Tax Conces...
The purpose of this paper has been to extend the range of consequences implied by government regulat...
This article examines the Treasury’s 2017 proposals refining Section 170(h). This article assesses t...
The changes to the R&D tax concession in 2011 were touted as the biggest reform to business innovati...
This article responds to the notice of proposed rulemaking under sections 861 and 904 (REG105495-19)...
Recent tax law changes concerning research and development (R&D) expenditures favorably impact many ...
Prior to the 2017 tax reform (TCJA), with a few exceptions, the United States only taxed the foreign...
Governments across developed and developing economies try to encourage firms to invest in Research a...
The U.S. government has long included in its tax code various special provisions designed to stimula...
Because of the importance of technological innovation to economic growth, nations strive to stimulat...
This Article highlights and analyzes some important points about the new international tax rules. Fo...
Business investment in research and development (R&D) is widely recognized as providing benefits to ...
This article explores whether exceptions from Asset-capitalization and rational tax depreciation rat...
Research and development (R&D) activity has long held a privileged place in the U.S. income tax syst...
'Backing Australia's Ability the Federal Government's Innovation Policy announcement released on 29 ...
This article is a follow up to our New Incentives for R&D - Recent Changes to R&D Tax Conces...
The purpose of this paper has been to extend the range of consequences implied by government regulat...
This article examines the Treasury’s 2017 proposals refining Section 170(h). This article assesses t...
The changes to the R&D tax concession in 2011 were touted as the biggest reform to business innovati...