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IRS watchdog cites resource limits, duplication in partnership audits

IRS watchdog cites resource limits, duplication in partnership audits

The Treasury Inspector General for Tax Administration assessed a soft-letter initiative and the IRS’s examinations of 82 major U.S. partnerships.

How listening is shaping ‘incredible’ year for AICPA Chair Lexy Kessler

How listening is shaping ‘incredible’ year for AICPA Chair Lexy Kessler

Kessler has shared plenty of perspective with members and students around the globe, and the perspective she has gained from them in return has highlighted her year of service.

Audit report card: More internal audit teams suffered cuts in 2025

Audit report card: More internal audit teams suffered cuts in 2025

The percentage of internal audit leaders reporting staff and budget reductions in 2025 rivaled numbers during the global financial crisis nearly two decades ago. Strategic alignment was linked to sufficient funding for the function, an annual report showed.

AICPA seeks clarity on revamped paid family leave credit rules

AICPA seeks clarity on revamped paid family leave credit rules

The request came in an AICPA letter to Treasury and the IRS seeking guidance on how employers should implement changes to the paid family leave credit.

IRS provides guidance on business interest limitation elections

IRS provides guidance on business interest limitation elections

The guidance in Rev. Proc. 2026-17 is provided in response to H.R. 1’s amendments to Secs. 163(j) and 168(k).

IRS watchdog cites resource limits, duplication in partnership audits

IRS watchdog cites resource limits, duplication in partnership audits

The Treasury Inspector General for Tax Administration assessed a soft-letter initiative and the IRS’s examinations of 82 major U.S. partnerships.

AICPA seeks clarity on revamped paid family leave credit rules

AICPA seeks clarity on revamped paid family leave credit rules

The request came in an AICPA letter to Treasury and the IRS seeking guidance on how employers should implement changes to the paid family leave credit.

IRS provides guidance on business interest limitation elections

IRS provides guidance on business interest limitation elections

The guidance in Rev. Proc. 2026-17 is provided in response to H.R. 1’s amendments to Secs. 163(j) and 168(k).

Adequate identification relief extended through 2026

Adequate identification relief extended through 2026

The relief allows taxpayers to use alternative methods to make adequate identification of digital asset units that are sold, disposed of, or transferred during the relief period.

AICPA pushes IRS to ease and expand first‑time abatement rules

AICPA pushes IRS to ease and expand first‑time abatement rules

The recommendations include allowing taxpayers to rely on substitute reasonable cause when appropriate, permitting them to reserve the automatic first-time abatement for future use.

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‘Clear limitations’: Italian advisers differ on intra-group financing TP ruling

‘Clear limitations’: Italian advisers differ on intra-group financing TP ruling

Partners are divided on Italy vs PDM D’s analytical depth, evidentiary standards, and what the judgment signals for future intra-group financing cases

Back office to backbone: tax risks of evolving global capability centres

Back office to backbone: tax risks of evolving global capability centres

As GCCs increasingly become strategic hubs, multinationals face heightened risks around permanent establishment and place of effective management

Italy: Selection of TP methods in transactions involving software distribution

Italy: Selection of TP methods in transactions involving software distribution

Federico Vincenti and Carola Valente Della Rovere of Valente Associati GEB Partners/Crowe Valente analyse how intragroup software distribution transactions are classified and transfer pricing methods applied, focusing on the interaction between OECD guidance, Italian legislation, and case law

Australian case highlights importance of documenting related-party transactions

Australian case highlights importance of documenting related-party transactions

Kelvin Yuen and Suhani Mehra of DLA Piper Australia examine a Full Federal Court decision denying deductions for undocumented intragroup service fees, and the risks of relying on inferred contracts in related-party transactions

HMRC almost doubles revenue from TP cases in one year

HMRC almost doubles revenue from TP cases in one year

Despite the increased yield, the time taken to resolve enquiries was at a six-year high, new HMRC statistics have revealed