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Eversheds Sutherland Global Tax Brief

  • Ireland
  • General

22-12-2017

The Eversheds Sutherland Global Tax Brief is a collection of tax developments from our attorneys across the globe. We hope you enjoy this issue of the Brief and look forward to sharing more updates in the new year!

View the full brief here.

In this issue, you will find articles on the following:

  • Final Tax Reform Bill Released – What Does it Mean for the Energy Sector?
  • Compensation and Benefits Provisions in the Final Tax Cuts Bill
  • Following the Senate’s Lead – The International Tax Provisions in the Final Bill
  • The Tax Cuts and Jobs Act, Final Cut: A Methods-Based Review of the Tax Bill
  • No Comment: Temporary Anti-Inversion Regulation Rejected Under Administrative Procedure Act
  • Italian Tax Court Defines Beneficial Owner for a Leveraged Buyout Transaction
  • LB&I Expands New Approach with Second Release of Campaigns
  • European Union: EU Commission Announces Major Reform of VAT
  • Ambiguity in the Proposed Section 468A Nuclear Fund Regulations—Sometimes Less Is More
  • Germany: Supplies via Consignment Stock and (Delivery) Warehouses Can Be Made VAT-Exempt Under Certain Circumstances
  • The IRS Continues Providing Normalization Guidance–This Time on Both the Consistency and Proration Rules
  • Ireland’s International Tax Strategy
  • Italian Branch Exemption Regime Implemented
  • IRS Ruling Provides Helpful Guidance on Normalization Proration Rules
  • Ireland’s Finance Bill 2017
  • Out-of-State Holding Company Is Not Included in Colorado Combined Report

Disclaimer

This information is for guidance purposes only and should not be regarded as a substitute for taking legal advice. Please refer to the full terms and conditions on our website.

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