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The One Big Beautiful Bill Act, or OBBBA, makes notable changes to the existing GILTI inclusion rules applicable to U.S. shareholders in a controlled foreign corporation.
The Income Tax Department has access to global financial data through international frameworks like the Common Reporting ...
On May 27, the Federal Communications Commission (FCC) opened two rulemaking proceedings aimed at foreign involvement in U.S. communications ...
Revenue Ruling 2025‑15 (available here) provides guidance on withholding and reporting obligations when a plan participant or beneficiary fails to cash a distribution check and a replacement check is ...
President Donald Trump signed into law P.L. 119-21, the “One Big Beautiful Bill Act” (OBBBA), enacting significant changes to the US ...
Baker McKenzie practitioners analyze the new international tax provisions enacted as part of the “One Big Beautiful Bill” ...
Originally due on July 31, 2025, the date for filing the income tax return has been extended to September 15, 2025. According to the Financial Express, while filing ITRs, taxpayers with overseas ...
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ITR 2025: Income tax department urges taxpayers to disclose foreign assets, income in their return
Schedule FA (Foreign Assets) in the ITR form is primarily meant for reporting foreign assets, and Schedule FSI (Foreign ...
In recent months, the IRS has revised a public announcement and issued a practice unit on IRS Form 3520-A reporting and penalties.
Foreign trust reporting obligations can apply to a domestic trust established even within the US and the recent regulations make compliance more difficult.
Activities within a foreign trust are reported on IRS Form 3520 – Annual Return To Report Transactions With Foreign Trusts and Receipt of Certain Foreign Gifts, or IRS Form 3520-a – Annual ...
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