IRS Proposed Regulations Issued to Combat Transactions Aimed at Generating Foreign Tax Credits -- Final Dual Consolidated Loss Regulations Published -- Important Opportunity for U.S. Companies Contributing to Foreign Defined Benefit Plans -- IRS Issues Directive on Section 482 Cost Sharing "Buy-in Payments" -- IRS Addresses Commensurate With Income Standard under Section 482 -- PLR 200712007 Concludes Ownership Through Disregarded Entity Qualifies as Direct Ownership for Dividend Withholding Exemption in U.S.-U.K. Tax Treaty -- United States, Brazil Sign Tax Information Exchange Agreement -- IRS Rules ICE Futures Is a Qualified Board or Exchange for Section 1256 Purposes -- E&Y's International Tax Online Reference Service Provides Updates on Significant Income Tax Changes in 25 Countries
November 30, 2009
November 11, 2009
November 10, 2009
November 4, 2009
October 30, 2009
October 28, 2009
October 2, 2009
Released on: Monday, April 30, 2007
(n/a n/a your local time)
Duration: 25 minutes
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