Austria

· Letter to Judith Herdin-Winter, Austrian Federal Ministry of Finance, regarding Tax Reclaim Services on Austrian Dividend Payments, September 3, 2015

Denmark

· Letter to Denmark on Proposed Relief at Source System, August 20, 2018

European Union Institutions

· Letter to the European Commission regarding Public Consultation on Cross-Border Distribution of Investment Funds, November 15, 2016

:Indonesia

· Letter to Indonesian Directorate General of Taxation regarding Request for Clarification on Regulation Number PER-10/PJ/2017 and Forms DGT-1 and DGT-2, September 25, 2017

IRS

· Letter to Internal Revenue Service regarding Form 8802, Application for Certification of U.S. Residency, March 30, 2018

· Letter to Internal Revenue Service regarding Temporary Regulations Requiring Foreign TIN and Date of Birth Information on Form W-8BEN, April 5, 2017

· Letter to Internal Revenue Service regarding Proposed Regulations on the Automatic Extension of Time to File Form 1042-S under Temporary Treasury Regulation section 1.6081-8T, January 21, 2016

· Letter to Commissioner John Koskinen, Internal Revenue Service, et al., regarding Section 1441 Withholding Procedures for Certain Distributions to Which Section 302 Applies, December 9, 2015

· Letter to John Sweeney, Internal Revenue Service, regarding Proposed FATCA FAQ on Validity of Print-outs of Electronically Signed Forms W-8 and W-9, May 27, 2015

Korea

· CIV Industry Coalition Letter to Korean Ministry of Strategy and Finance on Impact of Korean Capital Gains Tax on Non-Korean CIVs, January 27, 2018

· Letter to Korean Ministry of Strategy and Finance on Korea's Capital Gains Tax Changes for Foreigners, January 27, 2018

Organisation for Economic Co-operation and Development ("OECD")

· Letter to Marlies de Ruiter, OECD, regarding OECD Discussion Draft, The Treaty Residence of Pension Funds, April 1, 2016

· Letter to Marlies de Ruiter, OECD, regarding OECD Revised Discussion Draft, BEPS Action 6 - Preventing Treaty Abuse, June 16, 2015

· Letter to Marlies de Ruiter, OECD, regarding OECD Discussion Draft, Follow-Up Work on BEPS Action 6 - Preventing Treaty Abuse, January 9, 2015

Philippines

· Letter to Ms. Trinidad A. Rodriguez, National Tax Research Center of the Philippines, regarding Recommendations for Development of Tax Reform Proposals Under TRAIN 4 and Requests for Clarification of RMO No. 8-2017, December 6, 2017

U.S. Treasury

· Letter to Danielle E. Rolfes, United States Treasury, regarding Draft Provisions for the U.S. Model Income Tax Treaty, September 11, 2015

 

 

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