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On 14 August 2025, the Irish tax authorities (Irish Revenue) launched their Pillar Two Hub—a dedicated website for updates and guidance on Ireland’s implementation of the global minimum tax—along with […]

In August 2025, the Income Tax Appellate Tribunal (ITAT), Delhi Bench delivered a significant decision in the case of Sony India Pvt. Ltd. The judgment consolidated three appeals—ITA No. 9080/Del/2019, […]

Romania’s Ministry of Finance has released a draft administrative form to support the implementation of its domestic Pillar Two legislation. The form enables multinational enterprise (MNE) groups operating in Romania […]

On 3 June 2025, the Danish Parliament passed significant amendments to the Danish Tax Control Act. These legislative changes reshape Denmark’s transfer pricing landscape. The aim is to ease compliance […]

On 11 September 2024, the Cabinet of Ministers of Seychelles approved signing the Multilateral Convention to Facilitate the Implementation of the Pillar Two Subject to Tax Rule (STTR MLI). This […]

On May 22, 2025, the United States Tax Court issued a significant decision in the long-running dispute between Facebook, Inc. (now Meta Platforms, Inc.) and the Internal Revenue Service (IRS). […]

In a significant ruling, the Delhi Income Tax Appellate Tribunal (ITAT) has reinforced the legal strength of tax treaty protections and regulatory scrutiny in cross-border investment structures. The tribunal ruled […]

In a pivotal decision handed down in April 2025, the Administrative Review Tribunal of Australia (ART) ruled in favor of Alcoa of Australia Ltd in its long-standing dispute with the […]

In March 2025, the South African National Treasury announced a proposed two-stage increase to the Value-Added Tax (VAT) rate from 15% to 16%; a 0.5 percentage point increase on May […]

Effective January 1, 2025, Germany has significantly tightened its transfer pricing compliance requirements. As part of this reform, the Federal Ministry of Finance (Bundesministerium der Finanzen, BMF) issued formal administrative […]

A landmark decision by the Spanish National Court has sent a strong message to multinational enterprises (MNEs): transfer pricing practices must faithfully reflect economic realities and comply with arm’s length […]

The latest wave of U.S. tariffs—including a 104% levy on Chinese electric vehicles and a blanket 10% tariff on all imports—marks a significant shift in global trade policy. But beyond […]

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