09
Feb
GT I New IRS Regulations Address Cross-Border Cloud Computing and Digital Infrastructure Transactions
In light of the new rules, U.S. and non-U.S. businesses engaging in cross-border cloud computing and digital infrastructure transactions should carefully consider the location of their personnel, intangible property (including R&D activity), and tangible property that contribute to the generation of income from such transactions to optimize their tax planning and tax efficiency. Read more.
Compliments Greenberg Traurig