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A review of the week's major US international tax-related news. In this edition: Treasury releases final and proposed regulations on determining CFC status for certain provisions following TCJA repeal of Section 958(b)(4) – Final Treasury regulations under Section 864(c)(8) address US tax consequences of foreign partner's transfer of a partnership interest – OECD will publish final BEPS 2.0 Pillar 1 and 2 blueprints on 12 October 2020.
By Ernst & Young3.8
1212 ratings
A review of the week's major US international tax-related news. In this edition: Treasury releases final and proposed regulations on determining CFC status for certain provisions following TCJA repeal of Section 958(b)(4) – Final Treasury regulations under Section 864(c)(8) address US tax consequences of foreign partner's transfer of a partnership interest – OECD will publish final BEPS 2.0 Pillar 1 and 2 blueprints on 12 October 2020.

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