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A review of the week's major US international tax-related news. In this edition: IRS has no plans to issue additional Section 965 transition tax guidance – IRS will accept PLR requests for determining BEAT base erosion payment – OMB sends final Section 163(j) business interest deduction limitation regulations back to Treasury – Singapore announces US-Singapore TIEA in force 5 March 2020.
By Ernst & Young3.8
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A review of the week's major US international tax-related news. In this edition: IRS has no plans to issue additional Section 965 transition tax guidance – IRS will accept PLR requests for determining BEAT base erosion payment – OMB sends final Section 163(j) business interest deduction limitation regulations back to Treasury – Singapore announces US-Singapore TIEA in force 5 March 2020.

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