
Entity Classification Of Foreign Companies And Trusts In The US And Penalties Associated With Getting It Wrong!
In our experience the area that carries the most risk is the failure of a taxpayer to properly classify an Australian entity under... Read more

Penalties For Non-Disclosure Of Foreign Financial Assets
The FBAR, together with the FATCA regime, requires U.S. taxpayers to disclose foreign financial assets subject to certain threshold requirements. Due to the... Read more

OVDP to end – If you have intentionally been non compliant with US taxes the time to act is now!
In the publication featuring the Tax Specialist in February 2017 titled “Nowhere to Hide – An Update on Remediation Options for U.S. Taxpayers... Read more

The Multilateral Instrument and The Changing Framework of Permanent Establishment
On November 2016 over 100 jurisdictions concluded negotiations on the multilateral convention to implement tax treaty related measures to prevent base erosion and... Read more

Wine, Wine, I need more Wine: While Trump’s Tax Reform is Delivering on The Election Promises Made to his Base, the Tax Reform has a Biting Impact on Foreign Businesses!
In my Whitepaper “United States Entity Considerations in the Trump Era”I discussed the opportunities that will exist for companies that wish to headquarter... Read more

Global Innovators Are Paying For Trumps Tax Reform? Have You Received The Invoice For Your Share?
In the Whitepaper “United States Entity Considerations in the Trump Era” we discussed headline tax reform but we did not discuss the deep... Read more