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INTERNATIONAL-TAXES


Meenakshi Iyer and Joel Kara (BDO) review the outcome of the consultation on reforms to the UK’s transfer pricing, permanent establishments and diverted profits tax rules.
Revenue rule does not apply to Danish tax authority’s claims to recover funds.
The UN is demanding a greater role in setting the global tax policy agenda, but some countries have questioned whether this undermines the OECD/G20 Inclusive Framework discussions. Sarah Blakelock reports.
Kyle Rainsford (Travers Smith) examines the ramifications of the Upper Tribunal’s decision.
The consultation on hedging risks for future share transactions and the FTT decision in Hargreaves are some of the recent developments reviewed by Mike Lane and Zoe Andrews (Slaughter and May).

Pascal Lamy (The Jacques Delors Institute) and Hafiz Choudhury (The International Tax and Investment Center) set out recommendations to help ensure that global tax and trade rules are supportive of each other and continue to promote trade and investment in an open system.

Chris Morgan (KPMG) provides a review of recent international tax developments that matter.

Allan Cinnamon provides an update on tax treaty developments

Chris Morgan (KPMG) provides a round-up of recent developments, including: recent OECD discussion drafts from the BEPS project; discussions on the introduction of a GAAR into the EU Parent-Subsidiary Directive; the CJEU judgment on TCGA 1992 s 13; and updates from Germany and Chile.

Chris Morgan (KPMG) summarises recent international tax news, including updates from India, China and Poland; the CJEU decision in the Nordea Bank Danmark A/S case in Denmark; and updates to the OECD Model Tax Convention

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