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Disregarded Payment Loss (DPL) and Dual Consolidated Loss (DCL) – Interim Guidance IRS Notice 2025-44
IRS Eases DPL and DCL Compliance Burdens: What Notice 2025-44 Means for U.S. Multinationals.
Indhira Demorizi
Aug 23, 20252 min read


Corporate Alternative Minimum Tax (CAMT) Interim Guidance under IRS Notice 2025-28.
New Options, Less Complexity: What Notice 2025-28 means for CAMT compliance with respect to partnerships.
Indhira Demorizi
Aug 23, 20255 min read


Corporate Alternative Minimum Tax (CAMT) Interim Guidance under IRS Notice 2025-27
Curious about CAMT, IRS Notice 2025-27, and how it might impact your company? Check out this insight which offers key highlights.
Indhira Demorizi
Aug 23, 20256 min read


Section 951B – A U.S. Anti-Deferral Regime - 5 Things You Should Know
U.S. Companies and Private Funds - Heads Up!
If your structure involves foreign affiliates or complex ownership layers, the new Section 951B may impact you.
Indhira Demorizi
Jul 25, 20255 min read
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