Biden Administration Moving To Modify Tax Systems

(Tax Increase Alert Reposted)

Biden Administration Moving Full Steam Ahead To Modify The United States And International Tax Systems

The Biden administration, the OECD, and the European Union are moving full steam ahead with proposals that will modify the U.S. and international tax systems, significantly impacting clients’ after-tax investment returns and business income. We dig into the administration’s domestic and global tax proposals, including that a U.S. corporation may be required to pay a minimum tax amount to each foreign country where it has clients or investments. Are your clients preparing to adjust their portfolio of investments to maintain their after-tax annual investment returns? 

Biden’s Tax Proposals: Two Surprises for Clients Impacting Last Year and 2021

President Biden’s tax proposals contain two major tax surprises.

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Biden Administration Moving Full Steam Ahead To Modify The United States And International Tax Systems

The Biden administration, the OECD, and the European Union are moving full steam ahead with proposals that will modify the U.S. and international tax systems, significantly impacting clients’ after-tax investment returns and business income. We dig into the administration’s domestic and global tax proposals, including that a U.S. corporation may be required to pay a minimum tax amount to each foreign country where it has clients or investments. Are your clients preparing to adjust their portfolio of investments to maintain their after-tax annual investment returns? 

Biden’s Tax Proposals: Two Surprises for Clients Impacting Last Year and 2021

President Biden’s tax proposals contain two major tax surprises.

First, Biden’s tax plans would make any capital gains tax hike retroactive to April 28, 2020. That means clients who have engaged in tax planning strategies to avoid higher rates might wind up subject to the higher rates regardless if this provision makes its way into the final proposal.

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John Richardson

(This is Part 2 of my post discussing the South Africa tax situation. Part 1 is here.)

This is a follow up to my post exploring whether South Africa is moving to a tax system that is based on “citizenship-based taxation” or (in the case of the United States of America) “taxation-based citizenship”. That post was the result of a “special request”. The response from that first post included: Read More