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OECD


Tim Sarson (KPMG) provides the monthly update on international tax.
 
Card image Susan Seabrook Georgina Jones Ben Jones Sebastiano Sciliberto
Ben Jones, Susan Seabrook, Sebastiano Sciliberto and Georgina Jones (Eversheds Sutherland) provide an overview of the different unilateral approaches and international efforts to determine a multinational solution.
 
Tim Sarson (KPMG) reviews the latest developments that matter in the international tax world.
 
Daniel Head and Kashif Javed (KPMG) assess some of the practical challenges facing corporate groups.
 
Maya Forstater (Center for Global Development) examines the accuracy of the studies claiming that addressing transfer price manipulation could generate huge sums of revenue for developing countries.
 
Tim Sarson (KPMG) provides your monthly guide to the latest international tax developments that matter.
 
Zoe Wyatt and Miles Dean (Milestone International Tax Partners) examine the EC’s proposals surrounding a fair and efficient tax system in the EU for the digital single market.
 
The definition of ‘related’ in the hybrid rules is extremely broad. Dan Neidle and Jemma Dick (Clifford Chance) explain how this could potentially cause companies to be denied interest deductions on ordinary commercial loans.
 
Philip Greenfield (PwC) reports on the extent to which countries have started to adopt the BEPS recommendations. 
 

Substance, not legal form, should drive an arm’s length transfer pricing policy. Paul Daly and Duncan Nott (BDO) provide a practical guide.

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