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Direct Tax
Hany Elnaggar examines how the OECD’s global minimum tax is reshaping the GCC’s investment incentive landscape, shifting the region from rate-based competition toward substance-driven economic positioning
May 27, 2026
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  • In the last in a series of 10 articles on tax-effective intellectual property management, Pim Fris, Sebastien Gonnet and Emmanuel Llinares of NERA provide an analytical framework to address location-specific advantages from a transfer pricing perspective.
  • The scope and application of the New Zealand general anti-avoidance provision has become very topical recently after a number of wins for the New Zealand Inland Revenue Department. Kirsty Keating and Mark Loveday, of Ernst & Young, explain how recent cases show how non-arm’s-length transacting can form the basis for invoking tax avoidance provisions in New Zealand.
  • Following the enactment of the second French Finance Amendment Act on September 21 2011, Nicolas Message of FTPA analyses the increase in real estate taxation in the country.

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