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Transfer Pricing
Brazil
Gaia Silva Gaede Advogados
The Supreme Court reached a majority decision to criminalize the non-payment of declared ICMS tax.
Canada
Bennett Jones LLP
It has now been two years since the new Voluntary Disclosures Program (VDP) rules came into effect (see our previous blog, VDP Overhaul Coming Sooner Than You Thought), which restricted ...
Gowling WLG
The Canada Revenue Agency ("CRA") recently canceled Information Circular 87-2R ("IC"), which was a primary policy document on how the CRA applied transfer pricing legislation.
Gowling WLG
I wish I could tell you how many countries we're in. I don't think I actually know but we are just over 200,000 people as a global organization.
Cyprus
PwC Cyprus
On 11 February 2020, the OECD issued the long-awaited final version of the Financial Transactions paper (first issued as a non-consensus document in July 2018).
Kinanis LLC
In relation to the pricing of a transaction the report analyses several approaches that can be taken on a case by case basis.
India
SKP Business Consulting LLP
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates in the realm of taxation in India and across the globe for the month of...
SKP Business Consulting LLP
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates in the realm of taxation in India and across the globe for the month
SKP Business Consulting LLP
In 2019, many countries experienced a reduction in tax base and a decline in tax revenues due to economic developments.
Kazakhstan
GRATA International
On February 6, 2020, the Parliament of Kazakhstan ratified the Multilateral Convention to Implement Tax Treaty-Related Measures to Prevent Base Erosion and Profit Shifting ("MLI").
Luxembourg
ELVINGER HOSS PRUSSEN, société anonyme
On 11 February 2020, the OECD released the final version of the transfer pricing guidance on financial transactions – a long-awaited report after the draft published on 3 July 2018 ("Report").
Nigeria
Andersen Tax LP
On 19 February 2020, the Tax Appeal Tribunal (TAT or Tribunal), in the case between Prime Plastichem Nigeria Limited (Prime Plastichem or the Company) v Federal Inland Revenue Service
Andersen Tax LP
The Nigerian tax landscape has continued to witness significant changes, with the most recent being the presidential assent to the Finance Bill 2019 (now Finance Act) on 13 January 2020.
PwC Nigeria
On 19 February 2020, the TAT held that the ₦1.74 billion assessment issued by the FIRS to Prime Plastichem Nigeria Limited (PPNL)
South Africa
ENSafrica
With effect from 1 April 2020, the Botswana Unified Revenue Service is introducing a new tax management system called Lekgetho Live...
ENSafrica
application brought to review and set aside the decision of the Commissioner for the South African Revenue Service (" Commissioner" and " SARS") not to remit interest in terms of section 39(7) of...
Turkey
ADMD
President Decree on the Amendment of the Decision on Disguised Profit Distribution Through Transfer Pricing entered into force after being published in the Official Gazette dated February 25, 2020 and numbered 31050.
ADMD
Transfer Fiyatlandırması Yoluyla Örtülü Kazanç Dağıtımı Hakkında Karar'da Değişiklik Yapılmasına İlişkin Cumhurbaşkanı Kararı 25 Şubat 2020 tarih ve 31050 sayılı Resmi Gazete'de yayımlanarak yürürlüğe girmiştir.
Worldwide
Haug Partners
During a 2019 Tax Executives Institute conference in Washington, D.C., the Commissioner of the U.S. Internal Revenue Service (IRS), ...
Mayer Brown
On February 18, 2020, EU finance ministers updated the EU Blacklist, adding four jurisdictions—the Cayman Islands, Palau, Panama and Seychelles.
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