Proposal by Obama Administration Seeks to Limit U.S. Federal Income Tax Deductions for Reinsurance Premiums Paid by U.S. Cedents to Affiliated Non-U.S. Reinsurers
U.S. Court of Appeals Affirms Decision by Lower Court That Retrocessions with Underlying U.S. Risks Between Two Non-U.S. Reinsurers Are Not Subject to U.S. Federal Excise Tax
US: IRS Proposes New PFIC Regulations Impacting Non-US Insurance Companies
US: The Allocation of FATCA Withholding Risk in Cross-Border Reinsurance Agreements
New Treasury Notice Squeezes the Juice From Some Corporate Inversions – How Are You Impacted by the New Rules?
U.S. District Court issues taxpayer-favorable opinion in Validus Reinsurance, Ltd. v. United States
Subscribe: Subscribe via RSS
Firm/Org