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ANTI AVOIDANCE


The OECD has published the following discussion drafts as part of the BEPS project:

Hey, a new tax. As a tax adviser, that sounds like pretty good news. (Shame it is so bad for the country, but that's politics for you).

Patrick Cannon comments on the impact of a recent decision of the European Court of Human Rights.

HMRC has said it has secured ‘almost all’ of the disputed tax due from the first group of tax avoidance scheme users to receive accelerated payment notices.

The IRS has issued guidance confirming that jurisdictions that have an IGA agreed in substance prior to 1 July 2014 will continue to be treated as if they have the IGA in effect beyond the original 31 December 2014 deadli

Your Lexis®PSL Tax guide to the tax measures

Chris Sanger (EY) examines the smorgasbord of tax measures announced this week

Bermuda’s deputy premier and minister of finance, the Hon. E.T.

Having previously agreed the terms of its intergovernmental agreement (IGA) in substance on 27 May 2014, Barbados became the 47th jurisdiction to officially sign an IGA with the USA for the implementation of FATCA on 17 November 2014.

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