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Brazil
Koury Lopes Advogados
Neste informativo você encontrará apenas boas notícias, com decisões do CARF publicadas em 2020 a respeito de assuntos relevantes e favoráveis aos contribuintes:
Koury Lopes Advogados
Em sede de repercussão geral, O STF entendeu que encargos tarifários, como o "seguro apagão"...
Koury Lopes Advogados
In general repercussion (binding precedent), the Supreme Court ("STF") understood that tariff charges, such as "blackout insurance", are not related to the operation of circulation...
Gaia Silva Gaede Advogados
Due to the continued state of public emergency in Brazil, the Federal Government has granted several tax breaks to mitigate the economic effects of the COVID-19 pandemic,...
Koury Lopes Advogados
In this newsletter you will find CARF favorable decisions published in 2020 regarding relevant and favorable issues for taxpayers:
Tauil & Chequer
The measures are aligned with OECD recommendations and do not represent any tax relief, since they mainly simplify procedures and recognize exemptions.
Canada
Osler, Hoskin & Harcourt LLP
In a decision released on April 23, 2020, the Federal Court of Appeal (the FCA) unanimously allowed Loblaw's appeal from a 2018 Tax Court of Canada (Tax Court) decision.
Moodys Tax Law LLP
As an update to our blog on June 22, 2020, we have now received confirmation from US Customs and Border Protection (CBP) headquarters, consistent with our earlier interpretation of the President...
Osler, Hoskin & Harcourt LLP
With the closure of the Tax Court due to the COVID-19 pandemic, the progress of most proceedings has slowed, while others have been brought to a halt.
Rotfleisch & Samulovitch P.C.
A Canadian sex worker's worldwide income is taxable like that of every other Canadian resident. Like all income-earning Canadian residents, Canadian sex workers have income-tax obligations, and they may need to file a Canadian income-tax return.
Rotfleisch & Samulovitch P.C.
On June 4, 2020, during a virtual meeting with the Tax Court of Canada Bench and Bar Liaison Committee, the Tax Court of Canada introduced its new, yet temporary, "fast track settlement conference system".
Rotfleisch & Samulovitch P.C.
The Income Tax Act grants the CRA a broad range of powers and discretions when conducting tax audits of Canadian taxpayers.
Osler, Hoskin & Harcourt LLP
The global travel restrictions caused by the COVID-19 pandemic have resulted in some individuals involuntarily remaining in one jurisdiction or being unable to enter another jurisdiction.
Gowling WLG
On June 25, the Chief Justice and Associate Chief Justice of the Tax Court of Canada ("TCC") provided a second reopening update. Here are our top ten highlights.
Cayman Islands
KRYS Global
A fraud investigator obtains access to the bank statements of a company and discovers a wire transfer to another company in the Cayman Islands.
Cyprus
Patrikios Pavlou & Associates
As of the 1st of July 2016, a new Intellectual Property (IP) tax regime is applicable in Cyprus. The Cyprus IP tax legislation is now fully OECD compliant and it was actually amended as per the
Areti Charidemou & Associates LLC
03/07/2020 According to the Cyprus Income Tax Laws, all companies that will have taxable income for tax year 2020 should submit to the Tax Authorities by 31 July 2020...
Areti Charidemou & Associates LLC
According to the Cyprus Income Tax Laws, all companies that will have taxable income for tax year 2020 should submit to the Tax Authorities by 31 July 2020
Egypt
Maher Milad Iskander
State Development Tax Law No. 147 of 1984 was introduced on the 4th of October 1984, and its Executive Regulation issued on the 21st of April 1986.
C.Savva & Associates Ltd
Europe was among the regions that were hit the hardest by COVID-19.
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