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INTERNATIONAL TAXES


Delay and a lack of political consensus on BEPS feature in this month’s review by Tim Sarson (KPMG).
David Whittaker (Mishcon de Reya) provides a guide for the UK tax adviser to help them navigate this new complex landscape.
The latest on BEPS, tax transparency and transfer pricing, reviewed by Tim Sarson (KPMG). 
Ashley Greenbank and Sarah Ling (Macfarlanes) examine what the tax consequences of ATAD 3 will be in practice for four structures involving EU shell companies.
BEPS 2.0 and the US FY 2023 Budget are among the recent developments examined by Tim Sarson (KPMG).
The Court of Appeal has upheld SKAT’s claims. Philip Baker QC and Dilpreet K. Dhanoa (Field Court Tax Chambers) analyse whether, from a legal and international tax perspective, this was the correct decision. 
OECD commentary on the pillar two model rules and the responses to the pillar one public consultations are among the recent developments examined by Tim Sarson (KPMG). 
Pillar one, UAE’s new federal corporate tax regime, and the Indian government’s Union Budget are among the recent developments examined by Tim Sarson (KPMG).
Tim Sarson (KPMG) reports on a busy start to what promises to be an eventful year for the international tax world.
Tim Sarson (KPMG) reviews some of 2021’s key international tax developments and consider what’s in store for these next year.
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