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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, […]

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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