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Introduction The realm of International Tax and Transfer Pricing is an ever-evolving landscape, with Tax authorities continuously seeking to enhance their processes. In line with this pursuit, the Acting Director […]

Introduction Effective from July 1, 2020, the Netherlands implemented the Mandatory Disclosure Rules (EU DAC6 Directive), aiming to enhance transparency in tax reporting. However, it was recognized during the drafting […]

The development and exploitation of IP is the key for most contemporary businesses. Throughout a company’s lifetime, IP is an asset that the entity uses for the provision of products […]

The Brazilian Federal Senate approved on May 10th, 2023, Bill of Law n. 8, which stems from Provisional Measure n. 1.152 (“MP 1.152/22“). The below changes were introduced following the […]

After a long period of low-interest rates, the era of cheap financing is over. The steep rise in interest rates in Q3 and Q4 2022 has direct consequences for the intercompany […]

On 5 January 2023, the Corporate Sustainability Reporting Directive (CSRD) entered into force. The European Commission has been working towards the CSRD as part of its EU Green Deal mission. […]

Hong Kong and Singapore are two of the most dynamic and affluent cities in Asia, with both striving to become the most prosperous business hub of the region. Both cities […]

On April 6th, 2023, the Australian Treasury announced a transparency measure for MNEs to prepare for public release certain tax information on a country‑by‑country basis and a statement on their […]

On April 7, 2023, the Board of Directors of the Zakat, Tax and Customs Authority (ZATCA) approved changes to the transfer pricing bylaws, effective from 1 January 2024, for financial […]

Multinational enterprises (MNEs) are continuing to focus on responsible governance as part of their ESG policies. An important aspect of ESG strategies is tax viz. transfer pricing. It has increasingly […]

On March 3, 2023, the Dutch Supreme Court issued a ruling on the interest deduction limitation rule under Article 10a of the Dutch Corporate Income Tax Act of 1969. […]

On March 31st, 2023, the Irish Ministry of Finance released a Feedback Statement (FBS) on the Pillar Two Model Rules implementation. The FBS includes draft legislation on key elements of […]

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