Proposals and tax policy changes can happen at any time. Deloitte’s Tax News & Views webcast series is your go-to source for timely updates on tax legislative and regulatory developments, providing you with information to keep current on tax changes.
Deloitte’s Tax News & Views webcast series will keep you up to date on the latest legislative and regulatory developments. Be sure you receive invitations to Tax News & Views webcasts by marking "tax" as an area of interest in your Deloitte.com profile.
As post-inaugural buzz is replaced by the hard work of governing, focus in Congress will likely turn to the coming fiscal cliff resulting from the expiration of major portions of the Tax Cuts and Jobs Act of 2017. Join us to understand potential changes on corporate, individual, and international tax policy as well as a discussion of any new significant executive orders issued in the first days of the second Trump administration. We’ll discuss:
Participants will evaluate the future tax policy landscape with a focus on key legislative issues.
On December 18, 2024, the IRS announced forthcoming proposed regulations providing a new method (the Simplified and Streamlined Approach, or SSA) for pricing certain baseline marketing and distribution activities consistent with OECD Pillar One Amount B. The next day, the OECD also released additional fact sheets and a pricing tool to facilitate the understanding and operation of Amount B for transfer pricing. How will this new development impact multinational businesses? We’ll discuss:
Participants will be able to discuss US and OECD updates related to Amount B and potential implications for their transfer pricing.
Final regulations under section 987 address computing taxable income, translating tax basis, and recognizing currency gain or loss for qualified business units operating in different functional currencies. While the final rules largely follow the basic construct under the 2023 proposed regulations, there are notable differences. We’ll discuss:
Participants will be able to describe the impact of the final section 987 regulations on US and foreign companies operating in foreign currency environments.
On November 29, 2024, Treasury and the IRS released long-awaited guidance related to previously taxed earnings and profits (PTEP) accounting and associated basis adjustments to take into account the significant changes to the US international tax system implemented by the 2017 Tax Cuts and Jobs Act. What do multinational companies need to know about this regulatory package? We’ll discuss
Participants will be able to analyze the impact of the new PTEP regulations on US and foreign companies.
The elections are just days away. Once a new president and Congress prepare to govern, focus will turn to the fiscal cliff resulting from the expiration of major portions of the Tax Cuts and Jobs Act of 2017. Join us to hear what changes may be ahead in the coming debate on corporate, individual, and international tax policy. We’ll discuss:
Participants will be able to analyze the future tax policy landscape with a focus on key legislative issues.
Date subject to change and dependent upon timing of election results. Alternative date will be either November 13 or November 15 at 11 a.m. ET. If a date change is necessary, an email with details will be sent to registrants.
On September 12, 2024, Treasury and the IRS released proposed regulations that provide guidance on the application of the corporate alternative minimum tax (CAMT) under sections 55, 56A, and 59(k) and (l). In this webcast, we’ll discuss:
Participants will be able to analyze the proposed regulations to help determine the potential impact to their organization.
On June 17, 2024, the Organization for Economic Co-operation and Development (OECD) released new Pillar One (Amount B) and Pillar Two guidance. Implementation of the two pillars remains a key focus area for jurisdictions and taxpayers. We’ll discuss:
Participants will be able to discuss ongoing international tax streamlining and simplification efforts under Pillar One (Amount B), and Pillar Two implementation complexities faced by stakeholders.
On May 16, 2024, the IRS released new guidance for the domestic content bonus credit for certain qualified facilities, energy projects, and energy storage technologies under sections 45, 45Y, 48, or 48E. During this webcast, we’ll discuss:
In this session, participants will discover potential opportunities aligned to green business goals.
In December 2023, the OECD/G20 Inclusive Framework (IF) released additional guidance on the interpretation and application of the Pillar Two global minimum tax rules. The new Administrative Guidance focuses on the country-by-country reporting (CbC) safe harbor, including some expansion of the relief it provides. What does the new guidance clarify, and how complex is it? We’ll discuss:
Participants will examine the impact of the new Administrative Guidance on US and foreign companies.