Our collection of news is focused on international tax and transfer pricing.
On March 7, 2025, the Turkish Revenue Administration (TRA) announced that Turkey will not adopt Amount B of Pillar One for transactions involving distributors, sales agents, and commissionaires operating within […]
South Africa has taken a significant step toward global tax reform by enacting the Global Minimum Tax Act, Act No. 46 of 2024. This legislation introduces the Global Anti-Base Erosion […]
On November 25, 2024, the Swedish Supreme Administrative Court (Högsta förvaltningsdomstolen) issued a pivotal ruling in cases 1348-24 and 1349-24, affirming that administrative courts have the authority to review decisions […]
On October 9, 2024, Brazil’s Administrative Council of Tax Appeals (CARF) issued a landmark ruling in Acórdão 2202-010.938, reinforcing the Federal Revenue Service’s (Receita Federal) transfer pricing methodology. The case, […]
The OECD Inclusive Framework on Base Erosion and Profit Shifting (BEPS) has released a set of updates to support the coordinated implementation of the global minimum tax under Pillar Two. […]
Introduction Luxembourg has demonstrated its commitment to international tax transparency by taking proactive steps to implement the OECD’s Pillar Two framework. This initiative establishes a 15% global minimum tax rate […]
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