Deloitte Tax LLP seeks a Tax Manager in Boston, MA.
Work You’ll Do
Align global effective tax rate reduction and efficient global cash deployment with overall business strategy. Advise U.S. and foreign multinational companies on the U.S. tax implications of their international operations as well as coordinate U.S. and foreign tax laws to develop tax planning opportunities to achieve an optimal worldwide tax strategy that complies with both U.S. and international regulatory requirements. Lead U.S. international tax compliance engagements, including the supervision of junior U.S. and offshore team members and coordination of internal/external client teams. Review the quarterly and/or yearend U.S. international tax provision computations to support the federal and audit teams’ review of the U.S. tax provision of audit clients. Direct and review complex tax research, formulate tax-planning strategies, and perform tax reviews. Provide leadership, counseling, and career guidance to junior team members. Perform engagement management duties, including drafting and submitting project contracts for internal approvals, analyzing engaged economics, and issuing invoices.
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Requirements
- Master's degree in Finance, Accounting, Law, Business Administration, or related field (willing to accept foreign education equivalent).
- Three years of experience as a Tax Manager or a related occupation gaining experience performing tax planning, reporting and compliance for U.S. multinational corporations and partnerships.
- Experience must include three years of:
- Preparing international tax compliance forms and informational returns, including Forms 5471, 5472, 8865, 8858, 8621, and 1118 disclosures and statements utilizing tax software including Corptax, GoSystem or CCH;
- Advising clients on various international tax issues including subpart F, GILTI, overall foreign loss, outbound transfer and inversions, and developing optimal tax structures for corporate restructuring, corporate reorganization, mergers and acquisitions;
- Performing tax due diligence to identify tax attributes and propose optimal capital distributions to maximize foreign tax credits and reduce effective tax rates;
- Performing passive foreign investment company (PFIC) analysis and testing to determine appropriate filing requirements and U.S. federal income tax consequences;
- Utilizing CCH, BNA, Lexis Nexis or RIA Checkpoint to research various U.S. federal income tax issues and analyze tax rules and regulations of foreign jurisdictions;
- Preparing clients’ work papers, including foreign tax credit and deferred tax asset utilization capacity analysis; and
- Evaluating international tax compliance for pass through partnership structures including examination of K-1s and related documentation.
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