DiscoverCross-border Tax TalksUS CAMT Proposed Regs: You are no Pillar Two
US CAMT Proposed Regs:  You are no Pillar Two

US CAMT Proposed Regs: You are no Pillar Two

Update: 2024-10-11
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Doug McHoney (PwC’s International Tax Services Global Leader) is joined by returning guest Aaron Junge, an International Tax Partner in PwC’s Washington National Tax Services Practice. Aaron served as Tax Counsel to the US House of Representative during the passing of the Tax Cuts and Jobs Act in 2017. Doug and Aaron briefly discuss the College World Series held in Aaron’s hometown of Omaha, before delving into the Corporate Alternative Minimum Tax (CAMT) proposed regulations. Specifically, they discuss Adjusted Financial Statement Income (AFSI), how the rules affect large domestic and foreign investment funds and partnerships, the open comment period, the similarities (and differences) between CAMT and Pillar Two, whether or not CAMT could be converted to a QDMTT, how the regulations impact adjustments for depreciation, and new foreign stock rules.  


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US CAMT Proposed Regs:  You are no Pillar Two

US CAMT Proposed Regs: You are no Pillar Two

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