Our collection of news is focused on international tax and transfer pricing.
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 […]
The OECD held a virtual public consultation on the 16th of March on the compliance and tax certainty aspects of the Pillar Two global minimum tax. Representatives from interest groups, […]
On the 30th of March, the Chamber of Deputies passed the Provisional Measure n. 1.152 (“MP 1.152/22“), introducing the Arm’s Length principle and aligning the Brazilian transfer pricing rules to […]
In April 2023, the United Kingdom will implement new transfer pricing documentation regulations that align with the G20/OECD Base Erosion and Profit Shifting (BEPS) Action Plan. This change is put in place […]
ESG (Environmental, Social, and Governance Strategies) is the current megatrend in boardroom discussions due to its growing impact on all stakeholders. Having far-reaching consequences, companies across fora are now actively […]
Germany is among the first EU countries to release a discussion draft regarding the Minimum Tax Directive Implementation Act. On March 20th, 2023, the German Ministry of Finance (MoF) published […]
The OECD released the Administrative Guidance for the Pillar Two GloBE Rules on February 2nd, 2023. Governments will benefit from the technical and administrative guidance as they implement the model […]
In the future, taxpayers will be required to submit their transfer pricing documentation without a request within 30 days of being notified of the audit order. On December 16, 2022, […]
On February 1st, 2023, the OECD released a Manual on the handling of multilateral MAPs and APAs (MoMA). The MoMA is part of the “tax certainty program” of the Forum on […]
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