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Since the election, uncertainty now surrounds the direction of UK tax policy. Ashley Greenbank (Macfarlanes) makes some tentative predictions as to what the next five years might bring.
 
Tim Sarson (KPMG) reviews the latest developments in the international tax world.
 
Tim Sarson (KPMG) reviews the latest developments in the international tax world.
 
Matthew D Saronson and Ceinwen Rees (Debevoise & Plimpton) examine the application of new anti-treaty abuse provisions to private equity fund structures.
 

A survey of senior in-house tax experts, by Tax Journal in association with FTI Consulting, assesses the initial impact of the OECD’s recommendations on tackling base erosion and profit shifting.

Ian Hyde and Catherine Robins (Pinsent Masons) consider how the dispute resolution measures in the MLI match up to concerns expressed in an earlier ICC survey.
 
Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
 

Allan Cinnamon (Cintax the Word Ltd) provides a quarterly update on tax treaty developments.

Rupert Shiers and Graham Poole (Hogan Lovells) review the likely areas for disputes in the coming year.

Anton Hume and Andrew Stewart (BDO) consider a concerning aspect of the new interest restriction that will come into effect on 1 April 2017.
 
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