New Mountain Finance Corporation (NASDAQ: NMFC) ("New Mountain," "New Mountain Finance" or the "Company") today announced its ...
Israel’s new reporting rules pierce the olim tax holiday, exposing foreign assets and raising real risks for globally active ...
Foreign-owned companies operating in the US want assurance that a new anti-abuse measure in Republicans’ 2025 tax law won’t ...
Some of the largest U.S. technology companies and investment managers are vulnerable if Middle Eastern sovereign capital ...
Closing arguments lasted two days in the Venezuelan foreign-agent trial of former Miami-Dade Congressman David Rivera and ...
The company that makes one of America’s most popular whiskey brands is receiving interest from both foreign and domestic ...
The investment seeks to generate high monthly income with the potential for appreciation based on exposure to exchange-traded products (“ETPs”) that have direct exposure to gold. The fund seeks to ...
Last week, New Mexico enacted the most significant state corporate tax reform of the year so far. On top of declining to fold large federal business tax cuts into state law, Senate Bill 151 also took ...
Many state lawmakers are bringing a healthy dose of skepticism to discussions around how extensively to link their state tax codes to the corporate tax changes found in last year’s One Big Beautiful ...
The “determine and document” requirement in Notice 2025‑75 is “ambiguous and potentially onerous,” and Treasury should eliminate, simplify, or replace it, the AICPA told Treasury and IRS officials in ...
The flagship 2025 tax legislation has sprawling implications for multinationals, including changes to GILTI and foreign-derived intangible income. Barry Herzog of HSF Kramer assesses the impact In a ...
On Monday, the Organisation for Economic Cooperation and Development (OECD) announced an updated global minimum tax deal. This agreement allows the U.S. tax system to operate “side-by-side” with the ...