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DOUBLE TAX RELIEF


David Nickson, Partner, KPMG Europe LLP, introduces the first in a series of articles which will look at how tax policy and practice must change to keep pace with a changing world

Robert Kent, Partner, Freshfields Bruckhaus Deringer, looks at what Robert the discussion document 'Taxation of the foreign profits of companies' has to say about possible changes to the taxation of foreign portfolio dividends

Ken Almand, Senior Transfer Pricing Consultant, and Gary J Mills, Director of Transfer Pricing, Ernst and Young's Transfer Pricing Group, examine proposed changes to the UK transfer pricing environment

Rob Ellerby, President of The Chartered Institute of Taxation (CIOT), provides information on the CIOT's Advanced Diploma in International Taxation (ADIT)

 

Jo Myers and Ken Almand, both Senior Consultants on Ernst &Young's International Tax Services team, review the proposals for restricting interest deductions in the Foreign Profits of Companies discussion document

In the first part of a two-part article on cross-border group relief, Graham Airs, of Slaughter & May, takes us up to the Finance Act 2006

Allan Cinnamon, International Tax Consultant, BDO Stoy Hayward, returns to his diary by considering inbound finance from the US

Donald L Korb, Chief Counsel, United States Internal Revenue Service, kicks off with our new series from the IRS on US matters which concern the UK

Anneli Collins, Partner and Ian Fleming, Director in KPMG's M&A Tax group, highlight some of the surprises encountered when looking at cross-border deals

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