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Auteur Archief: Internationaltaxreview.com
Tax insurance, which helps companies to push through deals with identified tax risks, is being used needlessly on tax issues which present barely any risk at all, according to one tax director, but others disagree. Lees verder
Companies looking to insure tax risks in M&A deals must know what is being insured and have clarity of information before proceeding, say industry experts. Lees verder
The Canadian firm Bennett Jones has appointed Ed Kroft, Jehad Haymour, and Deborah Toaze as partners and Sophie Virji and Eric Brown as associates to the Vancouver, Calgary and Toronto offices. Lees verder
Glenn Price, head of international tax at Vodafone, talks to Josh White about the risks taxpayers face in an increasingly uncertain world. Lees verder
A suite of mutually reinforcing measures with an overall focus on resolution at the earliest point in time is the ultimate goal for taxpayers and tax authorities. Achim Pross, Sandra Knaepen and Mark Johnson of the OECD describe the organisation’s comprehensive dispute resolution agenda, both within and beyond the BEPS project.
The tax status and characterisation of passive holding companies has gained renewed interest with Article 7 of the OECD’s Multilateral Instrument (MLI) containing some reference to these entities. Mauro Manca of Giovannelli e Associati looks at how these structures can still work if there are sound organisational reasons in the MNE structure.
The nominees for the 12th annual Americas Tax Awards have been announced. Lees verder
Twenty eight different firms, individuals and companies shared the prizes at the Asia Tax Awards in Singapore tonight. Lees verder
Tirthesh Bagadiya of Bagadiya & Jain looks at what he sees as the beginning of a new era in Indian transfer pricing regulations Lees verder
The EU Economic and Financial Affairs Council (Ecofin) has agreed on measure to help establish a tax blacklist of uncooperative jurisdictions. Lees verder
IKEA has lost an important tax battle that could have implications for other multinationals deducting interest on inter-company debt. Lees verder
Following approval by all members of the BEPS inclusive framework, the OECD publically released the substance and process for the peer review of BEPS Action 14 on October 20 2016. Lees verder
There have been a number of significant developments in the area of US tax controversies during 2016. Fenwick & West highlight some of the top US tax cases from this year, including several large § 482 transfer pricing cases that could provide helpful insight for taxpayers who may be facing similar significant transfer pricing adjustments.
McDermott Will & Emery, the winner of the Americas Tax Firm of the Year, has shown the greatest strength in depth on both continents. The firm was honoured at the Americas Tax Awards in New York on September 15 2016. Deloitte were honoured as Trans… Lees verder
Weeks before the US election, the Global Transfer Pricing Forum in New York will hear from economic advisers to the Republican and Democratic candidates on September 22 & 23. Lees verder