Taxpayers need Game of Thrones powers to save them the Internal Revenue Service issues Notice 2017-07 Paul C. Nylen
By: Nylen, Paul C.
Material type: ArticlePublisher: 2019Subject(s): RENTAS EXTRANJERAS | IMPUESTOS | ESTADOS UNIDOS In: Bulletin for International Taxation v. 73, n. 4, April 2019Summary: Since 1986, the US Treasury Department has struggled to establish equitable rules for foreign currency gains or losses under section 987 of the Internal Revenue Code. However, withdrawing the previous Regulations and the recently issued Notice 2017-07 would create a more equitable and less disparate tax system.Item type | Current location | Home library | Call number | Status | Date due | Barcode |
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Recursos electrónicos | IEF | IEF | BIT/2019/4-6 (Browse shelf) | Available | BIT/2019/4-6 |
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Disponible únicamente en formato electrónico. Acceso por claves.
Resumen.
Since 1986, the US Treasury Department has struggled to establish equitable rules for foreign currency gains or losses under section 987 of the Internal Revenue Code. However, withdrawing the previous Regulations and the recently issued Notice 2017-07 would create a more equitable and less disparate tax system.
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