The European Commission has opened three in-depth investigations to examine whether decisions by tax a
The European Commission has adopted a ‘communication’ endorsing reports submitted by the EU Joint Transfer Pricing Forum, which includes guidelines on three aspects of the treatment of transfer pricing transactions: risk man
Claire Hooper provides an update of the work done on BEPS as announced by the OECD in its webcast last week
Martin Zetter provides an overview of recent developments
Chris Morgan reviews recent developments in the international tax sphere, including: the two changes to the CFC exemption contained in FB 2014; a summary of the CJEU’s rejection of the UK’s FTT challenge; proposed amendments to the EU’s Parent-Subsidiary Directive; and updates from India and Germany
A round up of other tax news:
Martin Zetter reviews relevant Danish and Dutch cases, plus interesting guidance issued by the US IRS
The monthly round-up by Chris Morgan, with news from the OECD’s BEPS project, two CJEU cases and the latest from France, India and Chile
The OECD reports that the governments of 86 countries have endorsed the first internationally agreed framework for applying national rules on VAT (or goods and services tax, GST) to cross-border transactions, a move which the OECD hails as ‘a key step towards preventing value added tax from weig
Martin Zetter and Ashley Greenbank review the OECD’s recent discussion draft on this issue