Forthcoming article on U.S. international tax law

I have on a couple of occasions mentioned here the tax article that I've been working on, when time permits, since late January.  Entitled The New Non-Territorial U.S. International Tax System, it discusses and evaluates three of the main new international tax provisions in the 2017 tax act: the BEAT, GILTI, and FDII.  (This includes attempting to explain, very simply and intuitively rather than technically, what these provisions appear mainly to be "about.")I have now completed the piece, and it will be appearing in Tax Notes in two parts, on July 2 and 9.The two-part publication was necessary due to its length (close to 30,000 words), and made sense due to a natural breakpoint between the two main parts.  The first half focuses on international tax policy conundrums and dilemmas in general, and the second half on the BEAT, GILTI, and FDII in particular.I put both halves of the analysis in the same article due to their complementarity. One needs…

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