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DOUBLE TAX RELIEF


Michael Bell, Partner, and Ronan Lowney, Associate, Osborne Clarke's tax practice, discuss some recent changes to the venture capital legislation and the practical problems this is having on private equity transactions

Peter Maybrey and Peter Cussons, tax partners, PricewaterhouseCoopers LLP, discuss the impact of the proposals set out in the 21 June 2007 discussion document on the taxation of foreign profits of companies

Card image Alastair Munro Chris Morgan Alastair Munro Alison Christian

Chris Morgan, Alison Christian and Alastair Munro of KPMG's International Corporate Tax Group, consider the Government's recently published discussion document on the taxation of foreign profits

Mark Whitehouse, Tax Litigation, Reynolds Porter Chamberlain LLP, looks at some significant ECJ decisions that have an impact on the UK's relations with non-EU Member States

Michael Bell and Vicki Carr, Tax Practice, Osborne Clarke reflect on two of the main tax aspects arising out of the ongoing private equity debate

Deborah Annells, Managing Director, Azure Tax Limited, looks at China's new Corporate Income Tax law which will come into effect on 1 January 2008

Simon Whitehead, partner, Dorsey & Whitney London, discusses the judgment of the House of Lords in the ACT Class 3 Group Litigation. Dorsey act for the test claimants and as lead solicitors in the case

Jo Myers and Ken Almand, both Senior Consultants on Ernst & Young's International Tax Services team, assess HMRC's proposed new approach to pre-filing agreements in potential thin capitalisation cases

Nick Udal and Allan Cinnamon, BDO Stoy Hayward, provide us with up-to-date information on the preferred European holding-company location, and the wider international tax implications

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