A review of the week's major US international tax-related news. In this edition:House comprehensive tax reform blueprint to be released end of June – Senate Finance holds business tax reform hearing – Treasury still considering whether to expand limits to post-inversion planning beyond inverter companies – US government to allow optional CbC reporting for 2016 to resolve gap year issue -- New IRS Associate Chief Counsel (international) lists top international guidance priorities – IRS notice with new draft 2017 qualified intermediary agreement coming.
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