Upcoming National Meeting

2024 SALT Basics School

Five day school providing a comprehensive basic SALT education forum via three basic tracks for the SALT professional: 1) a SALT concepts track, covering income tax and sales tax theory and concepts; 2) a sales tax track, covering sales tax concepts and compliance; and 3) an income tax track, covering income tax concepts and compliance. The ideal student should have 0-3 years of SALT experience i

books background

Newsletters & Media

Cost Conscious

ISSUE 24-09; May 3, 2024

State Corporate Income Tax Filing Methods (Part 2) – In recent years, many states have either changed or considered changing their default corporate tax filing methodology. Additionally, several states have studied the implementation of mandatory worldwide combined reporting and a handful of separate reporting states are discussing changing to mandatory unitary combined reporting. We realize that

Twitter

Bloomberg TAX

Global Finance Leaders Expect AI to Unlock Deeper, Faster Audits

May 08, 2024

Global companies increasingly use artificial intelligence to produce their financial statements and expect auditors to leverage the technology further to spot fraud and speed up their reviews, a new international survey shows.

Colombia Seeks Budget Wiggle Room Modifying Fiscal Rule: Bonilla

May 07, 2024

Colombia is seeking to begin applying the fiscal rule in 2025 instead of 2026, which would open some fiscal space for the government next year, Finance Minister Ricardo Bonilla told reporters in Bogota.

Mnuchin Says Strong Dollar Helps, for Now, in Financing US Debt

May 07, 2024

Former Treasury Secretary Steven Mnuchin said a strong dollar is an advantage in helping the US to finance large fiscal deficits for now, but called on the winner of November’s presidential election to lead a new initiative to rein in the federal debt burden.

Georgia Limits Use of Tax Breaks, Won’t Halt Data Center Credits

May 07, 2024

Georgia Gov. Brian Kemp took action on tax legislation Tuesday, signing one bill that reduces taxpayers' ability to carry forward unused tax credits, including those for film productions, to future years, and rejecting another that would have paused tax breaks for data centers.

UN Tax Treaty Group Plots Timeline for Feedback From Countries

May 07, 2024

A United Nations committee set a timeline Tuesday for countries to provide input into the creation of a new global tax treaty.

US Rents Climbed 1.5 Times Faster Than Wages in Last Four Years

May 07, 2024

Rents in most major US metropolitan areas have risen some 1.5 times faster than wages in the last four years, according to an analysis by Zillow Group Inc.

Liberty Global Should Get Tax Refund, Groups Tell Appeals Court

May 07, 2024

An appeals court should grant Liberty Global Inc. its request for a $110 million tax refund because the “economic substance” doctrine was applied improperly in denying the refund, business groups argued.

Groups Seek Disclosure Protection for Australian Tax Reporting

May 07, 2024

Financial services industry groups are calling on the Australian government to be more discerning with the tax information from funds that is made public following it's country-by-country proposal released in February.

Case: District Court Lacked Subject Matter Jurisdiction to Hear Taxpayer’s Constitutional Challenges Against FBAR Filing Requirement, Dismissal Affirmed (7th Cir.)

May 07, 2024

The district court lacked subject matter jurisdiction over Taxpayer’s suit seeking to enjoin enforcement of the FBAR filing requirement, the U.S. Court of Appeals for the Seventh Circuit held in a nonprecedential decision, modifying and affirming the district court’s dismissal. Taxpayer, a U.S. citizen living in Japan, did not file an FBAR for his Japanese bank account and instead sued the Treasury Secretary, Treasury, and the IRS to prevent them from enforcing the filing requirement based on constitutional challenges. The district court dismissed the case for failure to state a claim. On appeal, the appellate court determined that Taxpayer failed to identify a proper cause of action for Treasury and the IRS. The court acknowledged that he may have had a cause of action against the Treasury Secretary, but found that he lacked standing because he filed the FBAR while his appeal was pending. In filing the FBAR, any privacy-related issues with respect to the initial filing became moot. The court explained that the risk of Taxpayer having to file again was speculative given that his practice was to transfer funds from the Japanese account to a U.S. account to stay below the FBAR filing threshold. In addition, he was unable to show any continuing injury from having filed the FBAR. As such, the appellate court affirmed the lower court’s dismissal, as modified to reflect a lack of subject matter jurisdiction. [Mano v. Yellen, No. 1:22-cv-01037-RLY-MJD (7th Cir. May 6, 2024)]

Taxpayers Withdraw $400 Million in ERC Claims, IRS Chief Says

May 07, 2024

Taxpayers have withdrawn almost $400 million worth of unpaid employee retention tax credit claims since the agency paused processing new claims in the fraud-plagued, pandemic-era program last fall, the agency chief said.

Featured Resources

COST - Council on State Taxation

Amicus Briefs

In the Matter of the Appeal of Microsoft Corporation and Subsidiaries, OTA Case No. 21037336

COST’s letter urges the OTA to change Microsoft’s designation to precedential. Microsoft held that Microsoft, a water’s-edge filer who received dividends from foreign subsidiaries that qualified for California’s DRD, properly included the deductible dividends in its sales factor denominator as “gross receipts.” The decision, released on April 2, was designated as nonprecedential. COST’s letter hig

COST - Council on State Taxation

COST Studies, Articles & Reports

COST - Council on State Taxation

COST Comments & Testimony