Multinational companies are more concerned about the image their tax affairs portray to the public than ever before but, with tax departments operating in a number of different countries, with various tax managers responsible for managing that jurisdiction’s tax affairs, how can a company stay on top of its tax affairs and judge the structures that may be acceptable in one country but cause problems in another?
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The controversial deal would ‘preserve the gains achieved under pillar two’, the OECD said; in other news, HMRC outlined its approach to dealing with ‘harmful’ tax advisers
TP is a growing priority for West and Central African tax authorities, writes Winnie Maliko, but enforcement remains inconsistent, and data limitations persist
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