info@ustax.cpa |+ 353 1 6834066 –    ( Morrison Chambers, 32 Nassau Street, Suite 35, Dublin D02 P2N6 )
  • Follow
  • Follow
USTAX.CPA logo
  • Home
  • About us
  • Services
    • Expatriation
    • ERC
    • US Tax returns
    • W7 – ITIN
    • U.S. Tax obligations
  • IRS Amnesty programs
  • USTAX Press
  • Contact us

TPB chairman tight-lipped on PwC Australia investigation progress

by usoftax_admin | Jun 29, 2024 | Tax News

But two out of nine probes into PwC’s confidentiality breach are expected to finish this year, Peter de Cure said

Workers’ lawsuits due to Mexico’s statutory profit sharing limits ruled inadmissible

by usoftax_admin | Jun 29, 2024 | Tax News

Luis Carlos Pérez Gómez Ramírez and Víctor Hugo Bretado Fernández of Copper Wolf explain the context of a Mexican Supreme Court of Justice ruling concerning the revised approach to calculating statutory profit sharing distributions

Brazilian Federal Revenue Service regulates the declaration of tax benefits

by usoftax_admin | Jun 29, 2024 | Tax News

Gabriel Caldiron Rezende of Machado Associados discusses the new regulation concerning the declaration of tax benefits and the additional – and unnecessary – difficulties for taxpayers

In Chevron Case, Justices Trade One Unknown For Another

by usoftax_admin | Jun 28, 2024 | Tax News

The U.S. Supreme Court’s decision to overrule a decades-old judicial deference doctrine may cause the “eternal fog of uncertainty” surrounding federal agency actions to dissipate and level the playing field in challenges of government policies, but...

NJ Lawmakers OK Corp. Tax Hike, Expansion Of Tax Credits

by usoftax_admin | Jun 28, 2024 | Tax News

New Jersey would reinstate the nation’s highest corporate income tax rate on large corporations, offer tax incentives for capital investments from artificial intelligence companies and relax employee location requirements for businesses to receive tax breaks,...

Supreme Court overrules 40-year-old Chevron doctrine

by usoftax_admin | Jun 28, 2024 | Tax News

The Court held that the APA requires courts to exercise their independent judgment in deciding whether an agency has acted within its statutory authority and not to defer to an agency’s interpretation of the law simply because a statute is ambiguous.
« Older Entries
Next Entries »


United States

info@ustax.cpa

ustax.cpa
14 Wall Street
20th Floor
New York, NY 10005

Office + 1 (917) 238-1621

Fax       + 1 (201) 685-3650



Ireland

info@ustax.cpa

Sey Tax Group
Sey Tax Ltd
Morrison Chambers
32 Nassau Stree§t Suite 30
Ireland D02 P2N6

Phone  + 353 1 6834066

Fax        + 353 1 9011795

 

Disclaimer This material has been prepared for information purposes only, and is not intended to provide, and should not be relied on for, tax, financial, legal, accounting, or similar advice. You may not rely upon this material as the basis of taking any tax, legal, accounting, financial, or similar decisions or analysis. The foregoing – in its entirety or in part – may not be reproduced or copied or duplicated or linked-to without attribution to, or permission from www.ustax.cpa

Copyright © 2026| ustax.cpa | Sey Tax Group and Sey Tax Limited