A resource page offering strategic, forward-thinking insights for companies facing complex, cross-border tax matters, laws and regulations.
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Previous Topics
- April 24, 2023, How to Prepare for Pillar Two
- March 13, 2023, Transfer Pricing Update
- January 23, 2023, Recent International Tax Developments: IRS Year-End Notices and EU Pillar Two Directive
- April 24, 2023, How to Prepare for Pillar Two
- March 13, 2023, Transfer Pricing Update
- January 23, 2023, Recent International Tax Developments: IRS Year-End Notices and EU Pillar Two Directive
- December 13, 2022, Fenwick’s 2022 Tax Wrap-Up Extravaganza
- November 14, 2022, Tax Considerations of the Strong Dollar and FX Volatility
- August 25, 2022, Inflation Reduction Act’s Corporate Minimum Tax & Stock Buyback Tax: How They Affect You
- July 18, 2022, Crypto & Blockchain: What Every Tax Department Needs To Know
- May 2, 2022, International Tax Updates - A Round-Up of Recent Cases and PLRs with International Tax Implications
- March 7, 2022, Foreign Tax Credit Regulations, Part II
- February 7, 2022, Foreign Tax Credit Regulations, Part I
To request recordings or materials, click here.
- December 13, 2022, Fenwick’s 2022 Tax Wrap-Up Extravaganza
- November 14, 2022, Tax Considerations of the Strong Dollar and FX Volatility
- August 25, 2022, Inflation Reduction Act’s Corporate Minimum Tax & Stock Buyback Tax: How They Affect You
- July 18, 2022, Crypto & Blockchain: What Every Tax Department Needs To Know
- May 2, 2022, International Tax Updates - A Round-Up of Recent Cases and PLRs with International Tax Implications
- March 7, 2022, Foreign Tax Credit Regulations, Part II
- February 7, 2022, Foreign Tax Credit Regulations, Part I
To request recordings or materials, click here.
- December 13, 2021, International Tax Year in Review
- October 6, 2021, The House Ways & Means Bill
- August 30, 2021, Foreign Tax Credit Issues
- July 19, 2021, Recent International Tax Developments
- May 20, 2021, Foreign Disregarded Entities After TCJA
- April 12, 2021, International Partnerships After TCJA
- March 8, 2021, Tax Compliance and Planning Issues Involving Debt
- February 8, 2021, Transfer Pricing Insights
- December 13, 2021, International Tax Year in Review
- October 6, 2021, The House Ways & Means Bill
- August 30, 2021, Foreign Tax Credit Issues
- July 19, 2021, Recent International Tax Developments
- May 20, 2021, Foreign Disregarded Entities After TCJA
- April 12, 2021, International Partnerships After TCJA
- March 8, 2021, Tax Compliance and Planning Issues Involving Debt
- February 8, 2021, Transfer Pricing Insights
- December 7, 2020, International Tax M&A Update
- November 16, 2020, Foreign Tax Credit Regulations
- October 26, 2020, Litigating Tax Disputes in a 2020s Legal Landscape
- September 21, 2020, Loss Planning and GILTI HTE
- August 17, 2020, FDII Final Regulations
- July 21, 2020, Foreign Branches – Planning Issues and Traps for the Unwary
- April 27, 2020, Latest U.S. International Tax Developments and Planning
- December 7, 2020, International Tax M&A Update
- November 16, 2020, Foreign Tax Credit Regulations
- October 26, 2020, Litigating Tax Disputes in a 2020s Legal Landscape
- September 21, 2020, Loss Planning and GILTI HTE
- August 17, 2020, FDII Final Regulations
- July 21, 2020, Foreign Branches – Planning Issues and Traps for the Unwary
- April 27, 2020, Latest U.S. International Tax Developments and Planning
Related Resources
Fenwick Published
- April 12, 2022, Important Subpart F and PFIC Changes for U.S. Investors and Domestic Funds
- January 31, 2022, Treasury Finalizes Foreign Tax Credit Regulations, Including Novel Jurisdictional Nexus (Attribution) Rule
Subscription Required
- May 2, 2022, Tax Notes International, Section 245A Regs, The Green Book, and Crypto Reporting
- April 4, 2022, Tax Notes International, GLOBE and Nexus Rules, Final FTC Reg Comments, and Priority Guidance Plan Updates
- March 7, 2022, Tax Notes International, Final Subpart F and Proposed PFIC Regs
- February 21, 2022, Tax Notes International, Transfer Pricing, Pillar 2, And the Build Back Better Act
- February 7, 2022, Tax Notes International, 2022 Final Regulations
- January 31, 2022, Tax Notes International, Final Foreign Tax Credit Regulations
- January 3, 2022, Tax Notes International, Whirlpool, Coca-Cola, FTC Regs, DST Agreements, and Global Tax Reform
Fenwick Published
- April 12, 2022, Important Subpart F and PFIC Changes for U.S. Investors and Domestic Funds
- January 31, 2022, Treasury Finalizes Foreign Tax Credit Regulations, Including Novel Jurisdictional Nexus (Attribution) Rule
Subscription Required
- May 2, 2022, Tax Notes International, Section 245A Regs, The Green Book, and Crypto Reporting
- April 4, 2022, Tax Notes International, GLOBE and Nexus Rules, Final FTC Reg Comments, and Priority Guidance Plan Updates
- March 7, 2022, Tax Notes International, Final Subpart F and Proposed PFIC Regs
- February 21, 2022, Tax Notes International, Transfer Pricing, Pillar 2, And the Build Back Better Act
- February 7, 2022, Tax Notes International, 2022 Final Regulations
- January 31, 2022, Tax Notes International, Final Foreign Tax Credit Regulations
- January 3, 2022, Tax Notes International, Whirlpool, Coca-Cola, FTC Regs, DST Agreements, and Global Tax Reform
Fenwick Published
- December 1, 2021, International Tax Journal, Recent Private Rulings of Interest
- September 9, 2021, US Tax Legislation Alert: Wyden Bill Proposes Major Changes to GILTI, Foreign Tax Credit and Other Rules
- August 16, 2021, Senate Passes Infrastructure Bill Including Language on Digital Assets and Reporting of Crypto Transactions
- August 16, 2021, International Tax Review, Biden Tax Plan Alters M&A Outlook
- August 11, 2021, Section 987 Practice Unit Reflects a Permissive Attitude Towards Different Methods of Branch Currency Translation
- June 17, 2021, Debt Push Downs and the Curious Application of the Debt-Netting Rule
- March 9, 2021, A Virtuous Cycle: Investing in Diversity and Inclusion
- February 25, 2021, PFIC Testing—Significant New Guidance but Some Unanswered Questions Remain
- January 14, 2021, IRS Filing and Reporting Requirements for ISO Exercises and ESPP Stock Transfers for 2021
Subscription Required
- December 6, 2021, Tax Notes International, The Build Back Better Act
- November 1, 2021, Tax Notes International, Pillars 1 and 2, FTC Regs, and Eaton
- October 4, 2021, Tax Notes International, International Tax Reform Proposals and FTC Guidance
- September, 6, 2021, Tax Notes International, Branch Currency Transactions, FDII, and OECD Update
- August 2, 2021, Tax Notes International, International Tax Reform, Reverse Clawbacks, and GILTI
- July 5, 2021, Tax Notes International, International Tax Reform, Coca-Cola, Medtronic, and IRS's Entity Classification Election Ruling
- June 7, 2021, Tax Notes International, The Biden Tax Plan, CFC Accounting Method Change, and Amazon
- May 3, 2021, Tax Notes International, The Biden Tax Plan, APAs, and Entity Classification
- April 5, 2021, Tax Notes International, Multinational and Foreign Corporations, Partnership Interest Sales, and IRS Letter Rulings
- March 8, 2021, Tax Notes International, A Virtuous Cycle: Investing in Diversity and Inclusion
- March 1, 2021, Tax Notes International, Comments on FTC Proposed Regs
- February 1, 2021, Tax Notes International, Final Section 163(j) Regulations
- February 12, 2021, Tax Notes International, Final and Proposed PFIC Regs
- January 29, 2021, Tax Notes International, Coca-Cola, Proposed GILTI and FDII Regs, and Final Section 245A and PFIC Regs
Fenwick Published
- December 1, 2021, International Tax Journal, Recent Private Rulings of Interest
- September 9, 2021, US Tax Legislation Alert: Wyden Bill Proposes Major Changes to GILTI, Foreign Tax Credit and Other Rules
- August 16, 2021, Senate Passes Infrastructure Bill Including Language on Digital Assets and Reporting of Crypto Transactions
- August 16, 2021, International Tax Review, Biden Tax Plan Alters M&A Outlook
- August 11, 2021, Section 987 Practice Unit Reflects a Permissive Attitude Towards Different Methods of Branch Currency Translation
- June 17, 2021, Debt Push Downs and the Curious Application of the Debt-Netting Rule
- March 9, 2021, A Virtuous Cycle: Investing in Diversity and Inclusion
- February 25, 2021, PFIC Testing—Significant New Guidance but Some Unanswered Questions Remain
- January 14, 2021, IRS Filing and Reporting Requirements for ISO Exercises and ESPP Stock Transfers for 2021
Subscription Required
- December 6, 2021, Tax Notes International, The Build Back Better Act
- November 1, 2021, Tax Notes International, Pillars 1 and 2, FTC Regs, and Eaton
- October 4, 2021, Tax Notes International, International Tax Reform Proposals and FTC Guidance
- September, 6, 2021, Tax Notes International, Branch Currency Transactions, FDII, and OECD Update
- August 2, 2021, Tax Notes International, International Tax Reform, Reverse Clawbacks, and GILTI
- July 5, 2021, Tax Notes International, International Tax Reform, Coca-Cola, Medtronic, and IRS's Entity Classification Election Ruling
- June 7, 2021, Tax Notes International, The Biden Tax Plan, CFC Accounting Method Change, and Amazon
- May 3, 2021, Tax Notes International, The Biden Tax Plan, APAs, and Entity Classification
- April 5, 2021, Tax Notes International, Multinational and Foreign Corporations, Partnership Interest Sales, and IRS Letter Rulings
- March 8, 2021, Tax Notes International, A Virtuous Cycle: Investing in Diversity and Inclusion
- March 1, 2021, Tax Notes International, Comments on FTC Proposed Regs
- February 1, 2021, Tax Notes International, Final Section 163(j) Regulations
- February 12, 2021, Tax Notes International, Final and Proposed PFIC Regs
- January 29, 2021, Tax Notes International, Coca-Cola, Proposed GILTI and FDII Regs, and Final Section 245A and PFIC Regs
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Chambers
2021 Edition