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TRANSFER PRICING


Steve Edge of Slaughter and May assesses progress during Labour's tenure of office in the great tax reform project

Michael A DiFronzo, Deputy Associate Chief Counsel (International), IRS, continues our series from the IRS on US matters which concern the UK. Edited by Donald L Korb, Chief Counsel, IRS

Continuing our series of basic informative articles/insolvency series, Philip Ridgway, Barrister, in the third of three articles, discusses the basics of insolvency law as it might affect a receiver

The Tax Journal brings you Ernst & Young's immediate reaction to the Pre-Budget Report of 9 October 2007

Marcus Rea, Corporate Tax Director at Deloitte & Touche LLP, discusses the rise of AIM as an international market and highlights some of the issues faced in key emerging territories

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

Continuing our series of basic informative articles, Caroline Austin, Tax Partner, and Sue Harrison, Tax Manager, KPMG LLP, look at some of the main tax issues when UK-resident companies merge business interests

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

 
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