In the first of a new series, Allan Cinnamon provides a global review of tax treaty developments, including the UK’s DPT.
Richard Collier and Aamer Rafiq (PwC) look at the recent OECD BEPS discussion paper
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.
Richard Collier and Philip Greenfield (PwC) examine the OECD’s first set of recommendations for tackling base erosion and profit shifting (BEPS) - finding few surprises, but no let up.
Organisation calls deliverables a ‘historical achievement on the long road to global tax justice’
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
Martin Zetter (Macfarlanes) provides an update on the Amazon hearing in the US; plus transfer pricing news from India, Bolivia and Tanzania; and the OECD consultation on BEPS action 11
Jayne Newton takes a look at where we are now on the new ‘global FATCA’,
Heather Self considers the changes made to the Model Tax Convention (MTC) and what these updates mean in practice.
Chris Sanger reviews the IMF’s recent report, Spillovers in international corporate taxation, which considers how national tax decisions have international impacts and offers some radical suggestions to the current international tax architecture