News
The scope of qualifying pillar two tax credits could reportedly be broadened; in other news, hundreds of IRS appeals staff ...
For many taxpayers, the prospect of long-term certainty that a bilateral APA offers can override concerns about time, cost ...
Uday Ved, Hetav Vasani, and Snehal Pawar of KNAV India explore how cross-border business restructuring can trigger hidden tax exposures such as exit charges, and examine valuations under evolving glob ...
Levine, who served under the Joe Biden administration, led the US’s negotiations on the OECD’s two-pillar solution ...
Join ITR and Thomson Reuters on May 28 for the second webinar of a three-part series on e-invoicing and hear how businesses ...
Paolo Ludovici and Andrea Mirabella of Gatti Pavesi Bianchi Ludovici comment on a judgment regarding the withholding tax ...
Despite garnering significant revenues from multinationals, Italy’s digital services tax presents pressing double taxation ...
ITR’s research shows that in-house tax counsel in Asia also feel underserved by their advisers’ international networks ...
JBS, the biggest meat company in the world, allegedly used Luxembourgian ‘mailbox companies’ to avoid taxes between 2019 and 2022 ...
Ricardo Villalobos of Copper Wolf examines how BEPS pillars one and two reshape global tax rules, potentially affecting domestic systems and closing gaps in multinational corporate tax avoidance ...
Gabriel Caldiron Rezende of Machado Associados summarises the general aspects of the recently enacted Brazilian selective tax and explains why taxpayers should already be making preparations before it ...
Francesco Di Bari of Alma LED explains how an Italian Supreme Court ruling marks a pivotal shift in the tax treatment of ...
Results that may be inaccessible to you are currently showing.
Hide inaccessible results