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  • Daimler - Chrysler merger

    Eugen Bogenschütz and Kelly Wright of Haarmann, Hemmelrath & Partner, Frankfurt-am-Main analyze the structure and outcome of the 1998 Daimler-Chrysler merger

  • Repatriating reinsurance vehicle

    Bruno Gouthiere, of Bureau Francis Lefebvre, Paris analyzes the reasons for repatriating a Luxembourg captive reinsurance business back to France


Features

  • Daimler - Chrysler merger

    Eugen Bogenschütz and Kelly Wright of Haarmann, Hemmelrath & Partner, Frankfurt-am-Main analyze the structure and outcome of the 1998 Daimler-Chrysler merger

  • Mexico's balancing act

    The use of the maquiladora vehicle has proved to be efficient for US corporations operating in Mexico.

  • Repatriating reinsurance vehicle

    Bruno Gouthiere, of Bureau Francis Lefebvre, Paris analyzes the reasons for repatriating a Luxembourg captive reinsurance business back to France

  • Fighting for balance, not harmony

    The OECD’s work on harmful tax competition has might be a Trojan horse for the implementation of hamonization across the world

  • India’s tax web catches foreigners

    Under two recent advance rulings, foreign investors in India may be subject to amendments to the Finance Act, designed to prevent Indian companies taking undue advantage of certain concessions. Keyur Shah, Arthur Andersen, Mumbai reports

  • IRS blocks box options

    The IRS has issued new regulations that further limit the use of check-the-box tax planning techniques used by US companies for their foreign subsidiaries. Keith Martin of Chadbourne & Parke assesses the extent of the new restrictions

  • ECJ opens window for tax credits

    Foreign companies that trade in the UK may wish to peruse two recent cases in the ECJ that cast doubt on the legality of restrictions on foreign tax credits. Murray Clayson of Freshfields, London advises companies that may have a claim to act swiftly

  • French APAs offer mixed blessings

    France’s advance rulings regulations offer companies a greater sense of security for their intra-group transactions. However, securing approval may leave some companies feeling dangerously exposed. By Caroline Silberztein, Mazars & Associés

  • Ralph extends debt definition

    Australia’s thin capitalization rules are covered in the wholesale tax reforms put forward in the Ralph Report. Peter van den Broek of Clayton Utz, Melbourne outlines the likely changes and their impact for international operations


News Analysis



International Correspondents


International Tax Review Profile

RT @CBItweets: UK needs a Budget that enables the country to grow its way out of austerity. Here are 5 business priorities https://t.co/CAw

Oct 19 2017 09:19 ·  reply ·  retweet ·  favourite
International Tax Review Profile

This year's World Tax directory is now online. How does your firm stack up? https://t.co/CtRbW1Ub5j

Oct 19 2017 09:13 ·  reply ·  retweet ·  favourite
International Tax Review Profile

RT @AuroChardon: Let's honour the #memory of a brave #journalist and woman ➡️ vigil tomorrow, 18 Oct, 6pm, in front of Residence Palace #Da…

Oct 18 2017 04:42 ·  reply ·  retweet ·  favourite
International Tax Review Profile

Big Soda scores victory as Chicago-area tax repealed - could this be the beginning of the end of the sugar tax trend?https://t.co/PNuafWHy9K

Oct 12 2017 04:03 ·  reply ·  retweet ·  favourite
International Tax Review Profile

Ebay and Netflix pay total UK tax of less than £1.9m - How long until HMRC investigate their TP practices? https://t.co/VPPsT3aGMZ via @FT

Oct 12 2017 03:59 ·  reply ·  retweet ·  favourite
International Correspondents