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Our collection of news is focused on international tax and transfer pricing.

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The OECD and IGF have introduced a new transfer pricing framework specifically for lithium, aiming to ensure fair taxation in developing countries while addressing the unique challenges of the rapidly growing lithium market.
The OECD has introduced a new Selection Documentation Package for the International Compliance Assurance Program (ICAP), providing multinational enterprises with clear guidelines to enhance tax compliance and manage risks more effectively. This update marks a
In 2024, currency volatility presents significant challenges for businesses operating in global markets. This article explores the underlying factors driving these fluctuations and offers strategic insights to help companies mitigate risks and maintain financial stability.
Australia's new Public Country-by-Country Reporting (PCbCR) bill introduces rigorous reporting standards for large multinational and domestic groups. Learn about the key compliance requirements and potential penalties as the bill moves closer to becoming law.
ZATCA’s third edition of Transfer Pricing Guidelines introduces key updates on Advance Pricing Agreements, transaction adjustments, and new compliance exemptions for group companies.
The SAT has introduced a renewed Qualified Maquiladora Approach for fiscal years 2020-2024, offering clarity on the remuneration framework for maquiladora services. This approach is essential for tax professionals to ensure compliance and optimize financial
Law No. 7524 introduces significant changes to Türkiye's Tax Procedure Law, including revised guarantee requirements, stricter penalties for unregistered activities, and a narrowed scope for tax conciliation. These amendments aim to enhance compliance and refine
This article examines the Italian Supreme Court's landmark ruling that mandates the inclusion of loss-making entities in transfer pricing comparability analyses, emphasizing the importance of aligning with OECD guidelines and adopting a more comprehensive approach
Korea's Ministry of Economy and Finance has proposed crucial amendments to the Pillar Two global anti-base erosion tax rules, aligning with OECD standards and addressing key areas such as the undertaxed payments rule and safe
Belgium has introduced new requirements for transfer pricing documentation, effective from 2025. Our comprehensive guide explains the updated Local File, Master File, and country-by-country reporting obligations to help you stay compliant.
Discover the key amendments to the Netherlands-Curaçao Tax Arrangement, effective January 2025, aimed at eliminating double taxation and preventing tax abuse in alignment with OECD's BEPS standards.
The Supreme Court of Canada has ruled that only the Federal Court can review the Minister of National Revenue's discretionary decisions on downward transfer pricing adjustments, significantly impacting how transfer pricing disputes are handled. This

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