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

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The recent audit by the Australian National Audit Office (ANAO) has highlighted the effectiveness of the Australian Taxation Office's (ATO) management of transfer pricing for related party debt. While commendable, the audit underscores key areas
In today's landscape, the convergence of tax strategies and ESG principles is imperative for multinational corporations (MNCs). This article delves into the strategic integration of tax policies with ESG goals, outlining key components for effective
Austria's forthcoming legislation, aligning with EU directives, heralds a new era of tax transparency. With stringent reporting obligations, exemptions, and penalties, companies must navigate the evolving regulatory landscape to ensure compliance and maintain financial integrity.
In a landmark ruling, the UK Court of Appeal addressed Transfer Pricing and Unallowable Purposes in the BlackRock case. Learn how this decision shapes tax deductions and underscores the importance of aligning tax strategies with
Germany's tax landscape undergoes a profound transformation with the recent approval of the "Act to Strengthen Growth Opportunities, Investment and Innovation as well as Tax Simplification and Fairness.” This legislation introduces pivotal changes, particularly in
The recent amendments to the India-Mauritius DTAA, notably the introduction of the Principal Purpose Test (PPT), signify a pivotal shift in international tax regulations. Designed to scrutinize investments routed through Mauritius, the PPT aims to
Embark on a journey through the dynamic realm of tax reforms in the Netherlands. Delve into proposed alternative measures designed to fortify the Dutch business landscape. From navigating fiscal policy nuances to fostering a resilient
Explore the diverse approaches to Pillar Two implementation across UAE, Sweden, Liechtenstein, and Belgium. From public consultations to draft amendments, each country navigates the complexities of international taxation with unique strategies. Stay informed with expert
The National Tax and Customs Administration of Hungary has prioritized transfer pricing in its 2024 audit plan. New reporting requirements signal increased scrutiny, particularly in sectors like automotive and pharmaceuticals. Taxpayers must ensure thorough documentation

Introduction:  In our current globalized economy, multinational enterprises often engage in cross-border financing transactions within their group structures. These transactions, while essential for business operations, have historically posed challenges in […]

In a pivotal decision, the Full Federal Court has ruled in favor of the Commissioner of Taxation in an appeal brought forth by a taxpayer regarding intra-group loan transfer pricing. […]

In the ever-evolving landscape of international taxation, staying informed about the latest developments is crucial. From updates on BEPS (Base Erosion and Profit Shifting) to compliance measures across various jurisdictions, […]

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