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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
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  • The general anti-avoidance rule (GAAR) is set to become the UK tax authorities’ latest tool for targeting and counteracting tax avoidance. Sandy Bhogal and Ben Fryer of Mayer Brown analyse the consultation, and assess how such a rule will affect taxpayers.
  • After a series of court losses suffered by the Commissioner of Taxation, Australia's general anti-avoidance regime (GAAR), part IVA, looks set to undergo a significant modification to its scope and application. Mark Friezer and John Boyagi of Clayton Utz explore the reasons motivating the reform and why taxpayers need to keep track of the changes.
  • The claimants and other tax professionals are waiting for the European Court’s judgment in the FII Group Litigation to see if it will add clarity to issues about different levels of taxation and third countries, says Philippe Freund of Dorsey & Whitney.

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