Trump’s and Harris’s preliminary tax proposals differ significantly as summarized herein.
On July 12, 2024, the Treasury and the IRS published proposed regulations that would identify certain basket contract transactions as well as transactions substantially similar thereto as “listed transactions.”
The UK branch of an overseas company did not create a "fixed establishment" and was ineligible to be included in the UK VAT group.
As we head back to school, now’s a good time to catch up on energy tax credits and see what to expect for the rest of the year.