lead
Direct Tax
features sponsored features special focus local insights
-
As tax authorities embrace AI and governments weigh pillar two reforms, Latin America is developing a more connected and internationally focused tax agenda
-
India's tax authorities are increasingly scrutinising the rationale behind cross-border structures
-
The UK has confirmed its approach to the OECD’s side-by-side deal, but US-parented groups may find pillar two compliance remains far from straightforward
Sponsored Features
-
Sponsored by Steadfast Business ConsultingKapil Sethi and Mithilesh Reddy of Steadfast Business Consulting examine why financial transactions remain a transfer pricing battleground six years after the OECD’s Chapter X guidance, and what taxpayers should do about it
-
Sponsored by DeloitteInterview with Mauricio Martínez D’Meza, S-LATAM tax controversy leader, Deloitte Mexico
-
Sponsored by FonoaRob van der Woude of Fonoa argues that AI will not reduce tax work but transform it, making connected data infrastructure the foundation of compliance and competitive advantage
Special Focus
-
Using the tax system to attract investment into a country is nothing new. The UK has come under pressure over the lengths to which it is going to ensure potential foreign investors see it as "open for business", with the Patent Box regime coming under challenge and with claims the country is becoming a tax haven through its attractive controlled foreign company (CFC) rules and declining corporate tax rate. But if one country has been a trailblazer in this regard, it is Switzerland.
-
It would be an understatement to say that many large corporations have found their reputations dragged through the mud over their tax affairs.
-
Welcome to the third edition of China – Looking Ahead, a series of articles published in association with KPMG.
Local Insights
-
Sponsored by TPC GroupEconomic substance has assumed an increasingly important role in international tax disputes. Its application, however, requires a clear distinction between the accurate delineation of the actual transaction, the substance-over-form principle, and other anti-avoidance doctrines. Conflating these standards can weaken both the taxpayer’s position and the legal basis for a tax adjustment.
-
Sponsored by SMPS LegalSMPS Legal fortalece su práctica de Litigio y Consultoría Fiscal con Patricia López Padilla Barrera como consejera
-
Sponsored by Copper WolfThrough a specialized business model, a national vision and a firm commitment to talent, Copper Wolf has built a value proposition focused on understanding the specific challenges of each client and supporting their growth in increasingly complex environments.