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U.S. Proposes Big Changes to
International Tax Treaty Model 

U.S. Introduces Game Changing Proposals to International Tax Treaty Model 
 

The discord in legal tax practices has never been more evident than in the International tax practices of big multinationals. In an ongoing game of Tic-Tac-Toe between corporations and governments, it is glaringly obvious that the current score leaves regulatory bodies frustrated, angry and still trying to catch up. 

In May 2015, the U.S. Treasury proposed changes to the U.S. tax treaty model that would have an impact on how foreign corporations in the U.S. are taxed. This is the latest in an ongoing effort to eliminate tax avoidance by corporations. These changes will directly combat two tax strategies currently used by corporations: 

- The Stateless Income
- Base Erosion and Profit Shifting (BEPS)  

Read the full article here.
 


International Taxation 

 

Jacob Stein discusses the tax obligations and practices of foreign companies doing business in the U.S., and U.S. companies doing business abroad. 



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Robert F. KluegerJD, LLM 
Mr. Klueger is one of the very few private attorneys in America who has argued a tax case before the United States Supreme Court, [United States v. Brockamp], which resulted in a change in the tax law regarding tax refund claims filed by disabled taxpayers....


       
Jacob Stein, JD, LLM
Jacob Stein received his law degree from the University of Southern California, and his Master's of Law in Taxation from Georgetown University. He has been accredited by the State Bar of California as a Certified Tax Law Specialist, is AV-rated (highest possible rating) by Martindale-Hubbell, and has been named "A Super Lawyer" by the Los Angeles Magazine. 
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