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Transfer Pricing
Gaia Silva Gaede Advogados
The Supreme Court reached a majority decision to criminalize the non-payment of declared ICMS tax.
Gaia Silva Gaede Advogados
Frise-se, ainda, a conveniência da adoção de safe harbors para os casos de falta de comparáveis, o que consequentemente implica em uma desejável redução de custos de compliance.
British Virgin Islands
Maples Group
The BVI ITA announced it is accepting electronic CbCR filings and FATCA / CRS deadline extensions.
Borden Ladner Gervais LLP
Economic uncertainty produces various challenges for businesses, some of which are more obvious and urgent than others.
Borden Ladner Gervais LLP
On April 7, 2020, the Internal Revenue Service (IRS) and U.S. Treasury Department released the final regulations and additional proposed regulations under the Tax Cuts and Jobs Act.
Gowling WLG
The Canadian economy, much like the world economy, is completely paralyzed. COVID-19 is the first health emergency that has brought the world economy to a standstill.
Aird & Berlis LLP
We regularly advise foreign clients on expanding their businesses to Canada.
Gowling WLG
At times like this, when health and safety are at the forefront of everyone's mind, tax planning, including transfer pricing, understandably, is generally put aside.
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.
On 2 January 2019 the Cyprus Tax department (CT) issued a circular (ΔΕ5) explaining the practice that CT will apply in relation to the documentation of a transfer pricing study.
Kinanis LLC
The Directive (EU) 2018/822 expand once more the provisions of the Directive 2011/16/EU - Directive on Administrative Cooperation (DAC).
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.
European Union
There are just weeks until 1 July 2020 entry into application of the European Union's sixth Directive on Administrative Co-operation in the field of taxation (more succinctly referred to as DAC6).
Nexdigm Private Limited
Pursuant to PM Modi's announcement for the need of developing India into a ‘self-reliant' country, Finance Minister Nirmala Sitharaman made a slew of announcements on 13 May 2020.
Nexdigm Private Limited
The rapid global scale outbreak of the novel coronavirus (COVID-19) has taken the world by storm.
With a view to provide tax certainty and reduce litigation in the area of Transfer Pricing, Safe Harbour Rules were introduced in 2013.
Nexdigm Private Limited
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...
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