By: Tom Geraghty and Zachary Nolan

On October 31, 2018, the US Treasury and the IRS released proposed regulations under Section 956 (the Proposed Regulations), which substantially limit the application of Section 956’s “deemed dividend”


Continue Reading Proposed regulations eliminate major US tax impediments to utilizing foreign subsidiaries for credit support

Naftali Z. DembitzerHugh Wesley Goodwin and Ossie Lynn Ravid outline how Israeli companies selling online products and services to customers in US states may soon be required to register, collect and remit taxes
Continue Reading The tide turns: If your company is doing business in the US, it may soon be required to collect state sales taxes