Under immense pressure to devise a fair and administrable solution for taxing digital businesses by 2020, the OECD yesterday released a public consultation document to test the waters with a potent
The U.S. Department of Justice (DOJ) continues to focus on cross-border investigations, leading to indictments of not only U.S. businessmen but also executives living abroad.
On October 11, 2019, the U.S. International Trade Commission (ITC) will begin accepting petitions for duty suspensions or reductions under the Miscellaneous Tariff Bill (MTB). Under the MTB, U.S.
In this article, Larry Gibbs, former Commissioner of the Internal Revenue Service (IRS), discusses the events and concerns that led to the current language in the tax code section that provides for
In this article, Larry Gibbs discusses the fiscal impact and the escalating identity theft and refund fraud within the socioeconomic programs the Internal Revenue Service (IRS) administers as the r
The Internal Revenue Service (IRS) Office of Professional Responsibility (OPR) published guidance this w
Alert author Lawrence B.
In this article, Larry Gibbs outlines why he believes a recent DC District Court decision in Loving v.
In this letter to the editor of Tax Notes, Lawrence Gibbs and Rocco Femia respond to Lee A. Sheppard's article ("Why Do We Need Tax Treaties?" Tax Notes, Nov.
On September 13, 2010, the IRS issued Notice 2010-62 (the "Notice"), its initial guidance regarding the codification o
Miller & Chevalier Chartered today announced the results of their 2010 Tax Policy Forecast Survey measuring the current perspectives and attitudes of leading corporate tax executives on the dir
The IRS announced today that it is contemplating dramatic steps to increase the transparency of corporate tax returns.
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