Explore every episode of the podcast Cross-border Tax Talks
| Title | Pub. Date | Duration | |
|---|---|---|---|
| Taxing Cryptocurrency: US Digital Asset Regs | 28 Aug 2024 | 00:35:35 | |
Doug McHoney (PwC’s International Tax Services Global Leader) is joined by returning guest Rebecca Lee, a Principal in PwC’s Washington National Tax Services Practice where she focuses on complex tax problems and financial transactions in the digital asset space. Doug and Rebecca discuss T.D. 10000, the recently published final regulations dealing with digital assets. They dive into the details of digital assets, including the definition of a digital assets, revisiting non-fungible tokens (NFTs) and blockchain, and the different types of digital transactions. They also cover the background of the final regulations, calculating gains and losses, determining basis, digital asset transaction costs, ordering rules, Form 1099-DA, Notices 2024-56 & 2024-57, and the applicability dates. They finish the podcast with an exploration of how other jurisdictions are approaching cryptocurrencies around the world, touching on FATCA, DAC8 and more. | |||
| US Election Watch: Tax Implications | 14 Aug 2024 | 00:38:11 | |
Doug McHoney (PwC’s International Tax Services Global Leader) is joined by Janice Mays (Managing Director in PwC’s Tax Policy Services) who boasts a 40 year career on the Hill including 22 years as the Democratic chief counsel and staff director for the House Ways and Means Committee, to discuss the upcoming US election’s impact on tax policy. Doug and Janice dive into the practice and procedures behind US tax policy, the upcoming US presidential election, and the key races to watch in the US Senate and House of Representatives. They also cover various election result scenarios, the key priorities for both Republicans and Democrats in a 2025 tax bill, and a potential US reaction to Pillar Two. | |||
| Brazil Tax Reforms: muito complicado! | 26 Mar 2024 | 00:43:45 | |
Doug McHoney (PwC’s International Tax Services Global Leader) is in São Paulo, Brazil for the first Latin American recording of the CBTT with PwC Brazil’s International Tax Leader Dr. Romero Tavares. Doug and Romero discuss what makes Brazil’s tax system so unique – from its transfer pricing rules to its full inclusion regime. They also dive into expected Brazilian tax changes, the many acronyms that make up the indirect tax system, Pillar One, and what effect Pillar Two will have on Brazil’s taxpayers. | |||
| Road to Election 2020 with Chairman Dave Camp | 18 Sep 2020 | 00:36:01 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Chairman Dave Camp (Senior Policy Advisor in PwC's Washington National Tax Services practice and former Chairman of the House Committee on Ways and Means) discuss the past, present, and future of tax policy. Doug and Chairman Camp discuss: Chairman Camp's proposals for a global minimum tax during his tenure in Congress and how his proposals compare to the OECD's Base Erosion and Profit Shifting (BEPS) project; Vice President Biden's tax proposals, including amending the corporate tax rate, imposing a tax on book income, eliminating tax preferences for certain industries, and doubling the tax rate for global intangible low-taxed income (GILTI); the roles that the Senate, the US economy, and the global economy play in potential tax reform; President Trump's tax proposals; the evolution of the 'party platform,' political parties, and political factions; similarities and differences between the American political system and parliamentary systems; and the impact and utility of social media in the political sphere. [NOTE: This episode was recorded prior to the release of the "The Biden-Harris Plan to Fight for Workers" fact sheet released on September 9 by the Biden-Harris campaign.] | |||
| GILTI as charged (3rd booking): the 2020 high-tax exception regs | 11 Sep 2020 | 00:34:47 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Elizabeth Nelson (ITS Partner in PwC's Washington National Tax Services) discuss the recently-issued final and proposed high-tax exception regulations under the global intangible low-taxed income (GILTI) and subpart F income regimes. Doug and Elizabeth unpack: the background and history of the high-tax exception; the similarities and differences between the previously proposed high-tax exception regulations and the final high-tax exception regulations; how the regulations interact with net operating losses (NOLs) and the base erosion and anti-abuse tax (BEAT); what happened to QBUs, what is a 'tested unit,' and how the aggregation rules apply to tested units; the substance and implications of the 'consistency rule,' how the proposed regulations treat expense apportionment and negative interest rates; the new documentation requirements and anti-abuse rules contained in the regulations; and the continued importance of modeling due to the high-tax exception's interaction with many other TCJA provisions. Doug and Elizabeth also 'put a fork' in the notion that GILTI is a minimum tax and identify three categories of multinational taxpayers that may want to elect the high-tax exception. | |||
| Items of interest: The 163(j) Regulations | 27 Aug 2020 | 00:34:39 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Rebecca Lee (ITS Partner in Washington National Tax Services) discuss the recently-issued Section 163(j) final and proposed regulations. Doug and Rebecca discuss: what Section 163(j) is and how the Tax Cuts and Jobs Act changed the interest expense limitation rules for corporations; effective dates for both the final and proposed regulations; how the final regulations define 'interest;' the breadth of the anti-avoidance rule in the final regulations; how the final regulations define 'adjusted taxable income' and 'tentative taxable income;' how the final regulations treat the separate return limitation year (SRLY) limitation; and major takeaways of the proposed regulations, including how the proposed regulations treat controlled foreign corporations (CFCs), foreign persons with effectively-connected income (ECI), and partnerships. | |||
| Second bite of the Apple: the EU State Aid decision | 18 Aug 2020 | 00:38:47 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Calum Dewar (a Partner in PwC's Washington National Tax Services (WNTS) ITS practice and leader of PwC's US Integrated Global Structuring practice) discuss the recently-issued Apple State Aid opinion from the General Court of the European Union. Doug and Calum discuss: what State Aid is; what the General Court's opinion says and how to interpret it; the procedure behind the European Commission's initial 2016 decision, including why Apple was not actually the defendant in the initial case, but why both the Irish government and Apple appealed the EC's decision to the General Court; the impact of US cost-sharing rules and transfer pricing methodologies on the General Court's decision; the role of 'selectivity' in State Aid; how the EC may act in this case, and in other State Aid cases, going forward; and what impact digital services taxes and the OECD's base erosion and profit shifting (BEPS) project may have on State Aid in the future. | |||
| FDII shades clearer: the final Section 250 regulations | 31 Jul 2020 | 00:35:35 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Ninee Dewar (a Partner in PwC's Washington National Tax Services (WNTS) ITS practice) discuss the recently-released Foreign Derived Intangible Income (FDII) final regulations under Section 250. Doug and Ninee discuss: the background of the Section 250 deduction and how the deduction interplays with both FDII and Global Intangible Low-Taxed Income (GILTI); how the final regulations compare to the March 2019 proposed regulations under Section 250, including various changes to the documentation rules and loss transactions; Ninee's advice for taxpayers to meet the substantiation requirement; the background of the 'ordering rule' and how the rule helps coordinate Sections 250, 163(j), and 172(a); the importance of remembering that the Section 250 deduction is a taxable-income deduction (particularly in light of recent changes to the Net Operating Loss rules); how the final regulations treat electronically-supplied services and advertising services; how the final regulations treat related-party sales; and various important effective dates and applicability dates for the final and proposed regulations. | |||
| The evolution of 'cut and paste': 40 years of tax policy | 17 Jul 2020 | 00:41:29 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Pam Olson (PwC's US Deputy Tax Leader and Washington National Tax Services (WNTS) Practice Leader) discuss Pam's storied career as she retires from PwC. Doug and Pam talk: life as a tax practitioner in the 1980s; the value in working for the government; Pam's top achievements during her tenure at Treasury; major trends in US and global tax policy; the growth of trade, investment, supply chains, and globalization; the progressivity of the US tax system; the increase in partisanship over the past 40 years and the melding of 'campaigning' and 'governing' over that time; how we can focus on what we have in common rather than focusing on our differences; the recycling of tax proposals; and Pam's advice for both US and global policymakers. | |||
| A conversation about race in the tax profession | 25 Jun 2020 | 00:39:23 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Stephen Mosha (an ITS Partner and leader of PwC's Northeast Tax practice) have a candid conversation about Stephen's life as a Black tax professional. Doug and Stephen discuss: Stephen's experience as a Black partner at PwC; Stephen's thoughts on the homogeneity of the tax profession, how Stephen became interested in international tax; how tax professionals can help address racial inequities; and Stephen's advice for Black international tax professionals. | |||
| DAC6 Update: the latest EU disclosure rules | 12 Jun 2020 | 00:42:17 | |
Doug McHoney (PwC's US International Tax Services (ITS) Leader) and Maarten Maaskant (an ITS Partner and ITS Desk Leader) discuss the EU's mandatory reporting rules (EU Council Directive 2018/822, also known as 'DAC6.') Doug and Maarten cover: the background of DAC6 and how it compares to the BEPS Action Item 12 concerning country-by-country reporting; when taxpayers will need to comply with the DAC6 reporting rules; how individual countries will need to implement DAC6; the differences between a 'taxpayer' and an 'intermediary' in the context of DAC6; the responsibilities of taxpayers and intermediaries; which transactions are considered 'reportable transactions'; potential penalties for not complying with the DAC6 reporting requirements; the potential downsides for reporting transactions that may not be considered 'reportable transactions' under DAC6; and final words of wisdom for both taxpayers and intermediaries. | |||
| Whirlpool Decision: the Tax Court analyzes 'branch rules' | 26 May 2020 | 00:44:27 | |
| US Tax Reform Update: The final anti-hybrid regulations | 01 May 2020 | 00:34:11 | |
| US Tax Policy: Chairman Dave Camp | 14 Mar 2024 | 00:41:26 | |
Doug McHoney (PwC’s International Tax Services Global Leader) is at PwC’s International Tax Conference in Dana Point, California with former House Ways & Means Chairman Dave Camp, now senior policy advisor in PwC’s Washington National Tax Services. Doug and Chairman Camp discuss his political career, drivers behind US tax policy, how Congress negotiates tax legislation, the expiring provisions in the Tax Cuts & Jobs Act (TCJA), the prospects of Congress implementing Pillar Two in the years ahead, and how companies can get involved in the tax legislative process. | |||
| The CARES Act: a primer for cross-border tax professionals | 10 Apr 2020 | 00:37:54 | |
| Global Tax Update: Around the world in 35 minutes | 13 Mar 2020 | 00:37:20 | |
| Merging lanes: key MA and international tax considerations after TCJA | 21 Feb 2020 | 00:36:23 | |
| Sourcing sorcery: New inbound taxation regs | 14 Feb 2020 | 00:35:18 | |
| Brexit stage left: See EU later | 31 Jan 2020 | 00:33:57 | |
| The New FTC Regs: Calculating tax in a galaxy far, far away | 20 Jan 2020 | 00:42:04 | |
| Tech Talk: How Leaders in Tax Embrace Technology | 03 Jan 2020 | 00:29:59 | |
| We got the BEAT: US Tax Reform Regulations | 20 Dec 2019 | 00:37:06 | |
| BEPS 2.0: It's easy as (Amounts) A, B, C | 06 Dec 2019 | 00:43:44 | |
| Reforma en México: A tax reform discussion | 25 Nov 2019 | 00:36:55 | |
| Geopolitics Unraveled: Trends for 2024 | 28 Feb 2024 | 00:46:50 | |
In this episode of Cross-Border Tax Talks, Doug McHoney interviews Craig Stronberg, a Senior Director in PwC's Intelligence Team, about major geopolitical trends impacting business leaders and the operating environment. They discuss topics such as protectionism, the US-China rivalry, distrust, the shift in global power, tech disruption, labor, and the Middle East. They also highlight the importance of business leaders taking stock of lessons learned from the COVID-19 pandemic and the potential risks associated with the ongoing conflict in Ukraine. | |||
| Properly attributing: a conversation on tax attribution after the TCJA | 08 Nov 2019 | 00:32:48 | |
| The Trade War: A Discussion on Trade and Tariffs | 25 Oct 2019 | 00:37:39 | |
| Clarity in the cloud: analyzing the new digital content and cloud computing regulations | 11 Oct 2019 | 00:35:58 | |
| No havering here: BEPS 2.0 goes beyond digital | 27 Sep 2019 | 00:41:18 | |
| Mic flip: Doug McHoney talks candidly about tax reform | 16 Sep 2019 | 00:29:44 | |
| Technically, you're not wrong, but we need a few TCJA corrections | 30 Aug 2019 | 00:35:18 | |
| Taxing Cryptocurrency: When a currency is not a currency | 20 Aug 2019 | 00:37:28 | |
| Invalidity: When and why are tax regulations invalid? | 05 Aug 2019 | 00:38:14 | |
| The DRD 245A regs: Did the donut hole eat the donut? | 23 Jul 2019 | 00:36:36 | |
| Branch FX: Were those Section 987 regulations final? | 09 Jul 2019 | 00:35:25 | |
| US Guidance Update: Pillar Two and more | 13 Feb 2024 | 00:46:35 | |
On this episode, Doug McHoney (PwC’s International Tax Services Global Leader) is joined by Wade Sutton. Wade is PwC’s Washington National Tax Service’s ITS Leader, a former adjunct professor of international tax at Georgetown University's Law Center, and former Deputy International Tax Counsel, US Treasury. Doug and Wade discuss what drove them to international tax as a career (spoiler: job security) before diving into recent US tax guidance. They discuss the recent foreign tax credit (FTC), corporate alternative minimum tax (CAMT) and Previously taxed E&P (PTEP) notices. They also discuss the interaction of Pillar Two with the FTC rules, dual consolidated loss (DCL) rules, and CAMT. Doug and Wade wrap up by looking ahead to guidance we might see in 2024. | |||
| GILTI as charged - Part 2: The Final Regs and High Tax Exception | 25 Jun 2019 | 00:37:23 | |
| Tax Reform with a slice of Swiss | 10 Jun 2019 | 00:34:34 | |
| Mushy Peas: Comparing the UK and US's Corporate Tax Reforms | 24 May 2019 | 00:36:26 | |
| A Fortune 50 Tax VP's perspective on tax reform | 13 May 2019 | 00:33:55 | |
| A practitioner’s brief history of international tax in the US | 29 Apr 2019 | 00:35:51 | |
| US Tax Reform: An Insider’s Perspective for CFOs | 15 Apr 2019 | 00:34:41 | |
| FDII shades of gray | 01 Apr 2019 | 00:37:59 | |
Doug McHoney (PwC's US International Tax Services Leader) interviews Alex Voloshko (PwC’s US Value Chain Transformation Leader) and Marco Fiaccadori (PwC Transfer Pricing Principal) about the recently released Foreign Derived Intangible Income (FDII) regulations under Section 250. Among other topics, they discuss how FDII interplays with GILTI, and how the FDII proposed regulations would apply to property transactions, component manufacturing, intangibles, and services. | |||
| Engineering the post-tax reform world: a policy perspective | 18 Mar 2019 | 00:38:10 | |
| Around the geopolitical (and tax) world in 30 minutes | 11 Mar 2019 | 00:30:48 | |
| Behind the Curtain: The Joint Committee on Taxation | 04 Mar 2019 | 00:41:25 | |
| Sustainability and Transparency for Tax Professionals | 06 Feb 2024 | 00:34:27 | |
In this podcast episode, Doug McHoney, PwC’s International Tax Services Global Leader, interviews Heather Horn, PwC's Assurance National Thought Leader and host of the twice-weekly PwC Accounting Podcast. Doug and Heather discuss sustainability reporting and its increasing importance in the business world. They cover various regulations and standards, such as the EU’s Corporate Sustainability Reporting Directive (CSRD), and the potential intersection between sustainability reporting and tax transparency. Doug and Heather note the similarities between CSRD and other recent reporting requirements, like Pillar Two and the EU’s Foreign Subsidies Regulation (FSR). They also highlight the challenges and considerations for companies as they deal with new stakeholders and navigate the new reporting requirements. | |||
| Final Section 965 regulations: Amended tax returns ahead? | 18 Feb 2019 | 00:38:02 | |
| Temas candentes: Hot issues in Mexican tax | 04 Feb 2019 | 00:34:00 | |
| Anti-hybrid rules: the forgotten reform provisions | 18 Jan 2019 | 00:35:02 | |