Strategizing International Tax Best Practices – by Keith Brockman

US int’l developments

The Sec. 954(c)(6) CFC look-through rules were extended one year to the end of 2020, awaiting the President’s signature

Final Sec. 163(j) Regs were sent to OIRA

Final Sec 267(A) hybrid mismatch Regs were sent to OIRA

EY’s Global Tax Alert highlights these, and other, developments in the referenced link

Click to access 2019G_005869-19Gbl_Report%20on%20recent%20US%20intl%20tax%20developments%20-%2020%20Dec%202019.pdf

Comments on: "US int’l developments" (1)

  1. Jos Chrispijn said:

    Dear Keith,


    Thanks for all these nice articles. Perphaps a little less EY topics but that is entirely to you.
    Enjoy the Season’s Holidays!

    Best regards,

    Jos Chrispijn
    Internet & eMarketing
    Transfer Pricing Associates BV.
    [cid:image009.png@01D5B8C1.4F843140] [TPA15Years]
    T: +31 20 262 1069

    Let’s Talk Business!

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