Our collection of news is focused on international tax and transfer pricing.
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, […]
As of January 1, 2025, changes in Dutch tax classification rules for both Dutch and foreign entities will come into effect, potentially impacting U.S. group structures. A draft Decree released […]
The legislative machinery in Poland has kicked into motion to enact the EU directive on global minimum tax. Poland aims to have the Act in place by January 1st, 2025, […]
The OECD’s Inclusive Framework (IF) recently released the Pillar One Amount B Report on February 19, 2024, marking a milestone in international tax standards. This report introduces the Simplified and […]
South Africa is poised to embrace the global minimum corporate tax regime, with implementation slated to commence from the years of assessment beginning on or after January 1, 2024. This […]
Type: Legislation The UAE Ministry of Finance and Federal Tax Authority have unveiled plans to mandate e-invoicing from July 2026, initially targeting B2B and B2G transactions, with consumer transactions to […]
Introduction: In a bid to fortify the Dutch tax system, an independent working group of Dutch officials and external advisors released a report on February 12, 2024. The report, spanning […]
In November 2023, the Bucharest Court of Appeals sought clarity from the Court of Justice of the European Union (CJEU) on the VAT implications of transfer pricing adjustments as per […]
In the dynamic realm of international taxation, the release of Her Majesty’s Revenue & Customs (HMRC) operational guidance concerning transfer pricing and risk delineation holds profound implications for businesses operating […]
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