Showing 13 to 24 of 39 results


Dutch Supreme Court Upholds Cryptocurrency Taxation Under Box 3
The Dutch Supreme Court ruled that cryptocurrencies are taxable under box 3 of the 2001 Income Tax Act, despite not being traditional assets, due to their economic value and tradability; a woman's appeal against a tax assessment on her €71,000 cryptocurrency holdings was dismissed.
Dutch Supreme Court Upholds Cryptocurrency Taxation Under Box 3
The Dutch Supreme Court ruled that cryptocurrencies are taxable under box 3 of the 2001 Income Tax Act, despite not being traditional assets, due to their economic value and tradability; a woman's appeal against a tax assessment on her €71,000 cryptocurrency holdings was dismissed.
Progress
40% Bias Score


Court Rules Short-Term Rentals Trigger GST/HST Liability on Property Sale
The Federal Court of Appeal upheld a ruling that two brothers owe $77,080 in GST/HST on the sale of their Ottawa condo due to its use as short-term rentals (Airbnb) for over a year before the sale, regardless of prior long-term rental use, highlighting complexities in Canadian property tax law.
Court Rules Short-Term Rentals Trigger GST/HST Liability on Property Sale
The Federal Court of Appeal upheld a ruling that two brothers owe $77,080 in GST/HST on the sale of their Ottawa condo due to its use as short-term rentals (Airbnb) for over a year before the sale, regardless of prior long-term rental use, highlighting complexities in Canadian property tax law.
Progress
36% Bias Score


Senate Unanimously Passes "No Tax on Tips Act" with Key Limitations
The Senate unanimously passed the "No Tax on Tips Act," providing a $25,000 deduction for reported tip income, excluding those earning over $160,000 and certain occupations, with state-level tax conformity required for full exemption.
Senate Unanimously Passes "No Tax on Tips Act" with Key Limitations
The Senate unanimously passed the "No Tax on Tips Act," providing a $25,000 deduction for reported tip income, excluding those earning over $160,000 and certain occupations, with state-level tax conformity required for full exemption.
Progress
52% Bias Score


Spain's Tax Agency Rebuts Law Firm's Accusations Regarding Beckham Law
A UK-US law firm accused Spain's tax agency of harassment related to the Beckham Law, prompting the agency to release data showing that only 0.5% of users faced scrutiny, with 70% resulting in compliance agreements, refuting claims of systemic abuse.
Spain's Tax Agency Rebuts Law Firm's Accusations Regarding Beckham Law
A UK-US law firm accused Spain's tax agency of harassment related to the Beckham Law, prompting the agency to release data showing that only 0.5% of users faced scrutiny, with 70% resulting in compliance agreements, refuting claims of systemic abuse.
Progress
36% Bias Score


Unfiled Foreign Tax Returns Extend IRS Audit Period Indefinitely
The IRS can audit unfiled foreign information tax returns indefinitely, impacting taxpayers' financial liability; eight specific forms trigger this extended audit period.
Unfiled Foreign Tax Returns Extend IRS Audit Period Indefinitely
The IRS can audit unfiled foreign information tax returns indefinitely, impacting taxpayers' financial liability; eight specific forms trigger this extended audit period.
Progress
16% Bias Score


Greek Court Upholds 20-Year Statute of Limitations on Wrongly Paid Social Security Benefits
The Greek Council of State upheld the constitutionality of a 20-year statute of limitations on reclaiming wrongly paid social security benefits, requiring beneficiaries to prove good faith and significant financial hardship to avoid repayment; the court also ruled on VAT implications of free product...
Greek Court Upholds 20-Year Statute of Limitations on Wrongly Paid Social Security Benefits
The Greek Council of State upheld the constitutionality of a 20-year statute of limitations on reclaiming wrongly paid social security benefits, requiring beneficiaries to prove good faith and significant financial hardship to avoid repayment; the court also ruled on VAT implications of free product...
Progress
0% Bias Score

30% of Baden-Württemberg Property Owners Appeal New Tax
In Baden-Württemberg, Germany, 1.4 million property owners (roughly 30%) appealed their new property tax assessments since January 1, 2025, primarily due to the state's unique valuation model focusing solely on land value and questioning its constitutionality. This rate is among the highest in Germa...

30% of Baden-Württemberg Property Owners Appeal New Tax
In Baden-Württemberg, Germany, 1.4 million property owners (roughly 30%) appealed their new property tax assessments since January 1, 2025, primarily due to the state's unique valuation model focusing solely on land value and questioning its constitutionality. This rate is among the highest in Germa...
Progress
32% Bias Score

House Passes Bill with Retaliatory Tax on Foreign Entities
The U.S. House passed H.R. 1, the "One Big Beautiful Bill Act", by a 215-214 vote, containing Section 899 which increases U.S. tax rates on foreign entities from countries with discriminatory tax policies towards U.S. persons, potentially impacting foreign investment.

House Passes Bill with Retaliatory Tax on Foreign Entities
The U.S. House passed H.R. 1, the "One Big Beautiful Bill Act", by a 215-214 vote, containing Section 899 which increases U.S. tax rates on foreign entities from countries with discriminatory tax policies towards U.S. persons, potentially impacting foreign investment.
Progress
40% Bias Score

Section 183 Cases Highlight Record-Keeping Importance
Three 2025 court decisions addressed Code Section 183 (hobby loss rule), with outcomes highlighting the importance of record-keeping and business-like conduct in avoiding hobby loss reclassifications; one case resulted in a $15,526,029.76 judgment, including interest.

Section 183 Cases Highlight Record-Keeping Importance
Three 2025 court decisions addressed Code Section 183 (hobby loss rule), with outcomes highlighting the importance of record-keeping and business-like conduct in avoiding hobby loss reclassifications; one case resulted in a $15,526,029.76 judgment, including interest.
Progress
28% Bias Score

French Rental Income Tax Implications
In France, rental income from properties (excluding those via platforms like Airbnb) is categorized differently depending on furniture: unfurnished properties fall under 'revenus fonciers,' furnished under 'BIC,' and are taxed under simplified or 'réel' regimes depending on annual income.

French Rental Income Tax Implications
In France, rental income from properties (excluding those via platforms like Airbnb) is categorized differently depending on furniture: unfurnished properties fall under 'revenus fonciers,' furnished under 'BIC,' and are taxed under simplified or 'réel' regimes depending on annual income.
Progress
36% Bias Score

Jordan's New Property Tax Bill: Automated System Sparks Debate
Jordan's government submitted a new bill to parliament to revise property taxes, replacing a 1954 law with an automated electronic system. While officials claim it increases fairness, critics warn of unintended consequences due to potential misalignment with market values.

Jordan's New Property Tax Bill: Automated System Sparks Debate
Jordan's government submitted a new bill to parliament to revise property taxes, replacing a 1954 law with an automated electronic system. While officials claim it increases fairness, critics warn of unintended consequences due to potential misalignment with market values.
Progress
44% Bias Score

Tax Court Rules Against Microcaptive Insurer in Ninth IRS Victory
In Jones v. CIR, the U.S. Tax Court disallowed $1.6 million in premiums paid by Sani-Tech West, Inc. to its microcaptive insurer, Clear Sky Insurance Co., Inc., marking the IRS's ninth win in such cases, due to the captive's failure to meet risk distribution requirements and other issues.

Tax Court Rules Against Microcaptive Insurer in Ninth IRS Victory
In Jones v. CIR, the U.S. Tax Court disallowed $1.6 million in premiums paid by Sani-Tech West, Inc. to its microcaptive insurer, Clear Sky Insurance Co., Inc., marking the IRS's ninth win in such cases, due to the captive's failure to meet risk distribution requirements and other issues.
Progress
48% Bias Score
Showing 13 to 24 of 39 results