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BAE Systems; Ireland and US FATCA agreement; Shome Committee GAAR report; US tax reform; UK VAT; Vietnam VAT exemptions; Brazil sets new interest rates; DOTAS schemes.

Compliance Management

BAE Systems believes compliance agreement will be key to Australian certainty

Ireland and US sign FATCA agreement in Dublin





Corporate Tax

25 key takeaways from final Shome Committee Report on GAAR

National Taxpayer Advocate report improves US prospects for tax reform





Indirect Tax

UK refuses to back down over reduced VAT rate for energy saving products

Vietnam amends law on VAT exemptions

Tax Disputes

Brazil sets new interest rates for related party transactions

Corporates gain new defence against HMRC discovery assessments of DOTAS schemes

more across site & bottom lb ros

More from across our site

The Italian government published plans to levy capital gains tax on cryptocurrency transactions, while Brazil and the UK signed a new tax treaty.
Multinational companies fear the scrutiny of aggressive tax audits may be overstepping the mark on transfer pricing methodology.
Standardisation and outsourcing are two possible solutions amid increasing regulations and scrutiny on transfer pricing, say sources.
Inaugural awards announces winners
The UN’s decision to seek a leadership role in global tax policy could be a crucial turning point but won’t be the end of the OECD, say tax experts.
The UN may be set to assume a global role in tax policy that would rival the OECD, while automakers lobby the US to change its tax rules on Chinese materials.
Companies including Valentino and EveryMatrix say the early adoption of EU public CbCR rules could boost transparency of local and foreign MNEs, despite the short notice.
ITR invites tax firms, in-house teams, and tax professionals to make submissions for the 2023 ITR Tax Awards in Asia-Pacific, Europe Middle East & Africa, and the Americas.
Tax authorities and customs are failing multinationals by creating uncertainty with contradictory assessment and guidance, say in-house tax directors.
The CJEU said the General Court erred in law when it ruled that both companies benefitted from Italian state aid.