Submissions

On June 26, 2019, TEI filed a letter with the British Columbia's Select Standing Committee on Finance and Government Services proposing changes to British Columbia's provincial sales tax. The letter…
On February 20, 2019, TEI filed an amicus brief seeking review with the Louisiana Supreme Court in the Jefferson Parish v. Wal-Mart.com USA case. The court accepted review and, on June 19, 2019, TEI…
On May 6th, 2019, TEI submitted comments regarding proposed regulations implementing the new section 250 deductions for foreign-derived intangible income (FDII) and global intangible low-taxed income…
On March 4, 2019, TEI filed comments with the Organisation for Economic Co-Operation and Development (OECD) regarding the OECD’s public consultation document Addressing the Tax Challenges of the…
On February 26, 2019, TEI submitted responsive comments and recommendations to the IRS Office of Associate Chief Counsel (Income Tax & Accounting) concerning the new proposed regulations under…
On February 22, 2019, TEI submitted responsive comments and recommendations to the IRS Office of Associate Chief Counsel (Income Tax & Accounting) with respect to Notice 2018-99. The notice…
On February 20, 2019, TEI filed an amicus brief seeking review with the Louisiana Supreme Court in the Jefferson Parish v. Wal-Mart.com USA case. The case involves Jefferson Parish’s attempt to hold…
On February 19, 2019, TEI filed comments with the United States Department of the Treasury and Internal Revenue Service regarding proposed regulations promulgated under new section 59A. Section 59A,…
On February 5, 2019, TEI submitted responsive comments and recommendations to the IRS Office of Associate Chief Counsel (International) concerning the proposed regulations under sections 861 and 904…
On November 29, 2018, TEI filed comments with the Australian Treasury regarding The Treasury’s Discussion Paper on the digital economy and Australia’s corporate tax system. TEI’s comments emphasized…
On November 26, 2018, TEI filed comments with the United States Department of the Treasury and Internal Revenue Service regarding proposed regulations issued under section 951A. New section 951A,…
In October 2018, TEI worked with the Council on State Taxation (COST) and AICPA to request that states issue guidance indicating they will waive late filing (but not late payment) penalties for state…
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