International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Expert Analysis

lead
Direct Tax
Trophy assets are evolving from personal indulgences to structured investments, prompting family offices to prioritise tax efficiency, governance discipline, and cross-border compliance
May 21, 2026
features sponsored features special focus local insights
  • Mark Whitehouse and Simon Wilks PwC Legal and PwC There have been a number of features of the UK tax dispute landscape over the course of the past year which are worthy of note. In the first instance, the UK's Public Accounts Committee (PAC) has taken a keen interest in tax compliance and tax avoidance. The enquiries of the PAC have included within their remit a number of important issues for large corporate groups. The PAC has summoned large corporate entities to discuss their tax affairs, including corporate groups such as Starbucks, Google and Amazon. The result of this is that this has created an environment in which many large corporate groups find their tax affairs under unusually high scrutiny.
  • Zeki Gündüz PwC Recent revisions in tax and customs legislation are significant as they indicate the adoption of a taxpayer rights-centric approach. On the one hand, the legislature sought to meet criticisms regarding the principles of equality and the rule of law. On the other, it sought to reform the tax administration to make it more efficient and to bring it under stricter control.
  • Alberto Benshimol

Sponsored Features

Special Focus

Local Insights

Ad - shared