by Larson Gross | May 23, 2025
INSIGHTS Proposed Section 899: A Potential Game-Changer for Foreign Investment and U.S. Tax Policy by Kevin Stickle, CPA, Partner ARTICLE | May 23, 2025 A sweeping new tax proposal—Section 899 of the Internal Revenue Code—is making waves across international...
by Larson Gross | Feb 11, 2025
INSIGHTS Tax Considerations Regarding Increased US Tariffs on Canadian Importers by Drew Chapman ARTICLE | February 10, 2025 One of the hot button issues in today’s news cycle is the possible imposition of tariffs on major US trading partners, that being Canada and...
by Larson Gross | Jan 7, 2025
INSIGHTS If my Canadian corporation receives U.S. revenue, is it subject to U.S. tax? by Laura Luo, CPA, MST ARTICLE | January 7, 2025 Navigating Tax Obligations for Canadian Corporations with U.S. Revenue Sources In today’s interconnected economy, many Canadian...
by Larson Gross | Feb 19, 2024
INSIGHTS State Tax Considerations for Foreign Businesses Expanding into the US by Kevin Stickle, CPA, Partner & I-Tax Leader ARTICLE | February 21, 2024 A common oversight made by foreign businesses expanding their sales or operations into the USA is the...
by Larson Gross | Mar 20, 2023
INSIGHTS U.S. Estate Planning Issues for U.S. Citizens Living Abroad by Kevin Stickle March 20, 2023 Many Americans living abroad do not realize they are subject to U.S. federal estate tax regardless of whether or not they own any U.S. property. Read on to learn...
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