Perspective

A Survival Guide for In-House Accountants

In-house accountants are understandably anxious about being caught in the crosshairs of technological change. After all, better software and improved machine learning are automating many basic accounting functions, and stricter managerial scrutiny has put many in-house teams in the unenviable position of having to defend the accuracy, efficiency, and value… Read more »

VIEW MORE


Global Compliance: Get on the Wave or Get Stuck at Sea While Sharks Circle

Pick the Right Wave to Ride to Shore Some people call it transformation, others disruption. Change is coming in the broader world and in business. The world and business environments are less certain as economies slow. Businesses need to streamline and sharpen their focus to survive. Tasks are either taken… Read more »

VIEW MORE


States Jump on Economic Nexus Bandwagon, But Questions Remain

On June 21, 2018, the Supreme Court issued its decision in South Dakota v. Wayfair, overturning the longstanding physical presence requirement for sales and use tax nexus. Now, under Wayfair, a state can require a company to collect and remit sales or use tax on the basis of the company’s… Read more »

VIEW MORE


The New Normal for International Tax: Finding the Right Tools to Answer the TCJA’s Biggest Challenges

The Tax Cuts and Jobs Act (TCJA) has dramatically changed how U.S. multinational corporations are taxed, forcing tax professionals to learn an entirely new rule set for offshore taxation. New provisions such as the tax on global intangible low-taxed income (GILTI), the base erosion and anti-abuse tax (BEAT), and the… Read more »

VIEW MORE


Should Companies Plan Into Subpart F Following the TCJA?

Following the enactment of the U.S. Tax Cuts and Jobs Act (TCJA), U.S. multinational companies (MNCs) now face a new anti-deferral provision in the form of global intangible low-taxed income (GILTI). GILTI is an additional category of income, which is taxed on a current basis to U.S. shareholders of controlled… Read more »

VIEW MORE


States Adopt Varying Approaches to Federal Tax Reform

It has been an exciting year in the state and local tax world, with tax authorities and legislators racing to interpret and respond to federal tax reform.1 Businesses facing looming filing deadlines spent the first part of the year making sense of their reporting requirements for the 2017 tax year.… Read more »

VIEW MORE


Digital Economy Forces Global Tax Authorities to Adapt

Tax jurisdictions around the world are feeling the pressure to update their rules to keep pace with the disruptions brought about by the digitization of the economy. Defining where value is created has become much more complex than when most countries’ corporate tax rules were written. Traditional corporate tax rules… Read more »

VIEW MORE


Tax Reform Is in the Books

Another interim reporting period is rounding the corner, which means it is time to update the feature story in many of today’s Notes to the Financial Statements—the income tax footnote and the effects of the Tax Cuts and Jobs Act (TCJA). Believe it or not, the Financial Accounting Standards Board’s… Read more »

VIEW MORE


How CFOs Can Mitigate the Risk of Ransomware

Over the past year, a surging cybersecurity threat has infiltrated the computers of individuals and organizations around the world. Known as ransomware, this type of cyberattack holds sensitive data hostage and then forces victims to pay up to get it back or to stop it from being released or destroyed.… Read more »

VIEW MORE


BEPS and Allocation of Taxing Rights

The allocation of taxing rights between jurisdictions is a major international tax issue. The current analysis of this issue has largely been set in motion by the OECD/G20 base erosion and profit shifting (BEPS) project and by programs that other international organizations have initiated. It’s important to consider whether jurisdictions… Read more »

VIEW MORE