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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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  • Luiz Felipe Centeno Ferraz, Alessandro Amadeu da Fonseca and Antonio Carlos Marchetti Guzman of Mattos Filho Veiga Filho Marrey Jr e Quiroga Advogados analyse the recently updated Brazilian transfer pricing rules and offer insight into what it means for multinational taxpayers.
  • In February the UK First-tier Tribunal delivered a landmark stamp duty reserve tax ruling. Michael Quinlan and Marguerite Sheldon of Deloitte, who acted for the taxpayer in the case, scrutinise the decision and explain why it has ramifications beyond UK stamp duty.
  • Ireland continues to attract investment across a wide range of sectors. Pádraig Cronin and Louise Kelly of Deloitte explain why Ireland is an ideal location for multinationals looking to take advantage of the country’s low tax rate and advantageous geographical reach.

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