3min chapter

Cross-border Tax Talks cover image

New FTC Regs: Raise your creditability score

Cross-border Tax Talks

CHAPTER

Re-Attribution Asset Rule for Disregarded Payments

The final regs were issued from potentially being non-increditable. So May 17th 2023 taxpayers advisors take note you need to have those royalty agreements kind of fixed so they can avoid historic withholding tax payments. Nini: The rules basically are specific to a transfer of property and the like people tend to think about inventory as sort of the leading item where you might have a manufacturing disregarded entity that sells products to a disregarded distribution company or disregarded entity.

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