Washington Dispatch - November 2006

New U.S. Model Income Tax Treaty and Technical Explanation Released -- IRS Issues Proposed Regs Under Section 362(e)(2) on Built-in Loss Limitation -- IRS Notice 2006-99: Plans to Eliminate Interest for "Cured" Section 1441 Withholding Failures -- IRS Notice 2006-101: List of U.S. Tax Treaties for Qualifying for Reduced Dividend Withholding Under Section 1(h)(11) --- IRS Legal Memo Addresses Cross-Border Secured Financing Transactions


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International Tax Talk Quarterly Series with Ernst & Young LLP's Foreign Tax Desks

A series addressing tax planning, risk and other pertinent global tax topics

November 10, 2009

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Released on:
Wednesday, November 29, 2006

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Duration: 16 minutes

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