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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 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.
  • Raffaele Russo and Oliver Petzold of the OECD analyse a report from the organisation on the role aggressive tax planning plays in the use of losses and looks at what revenue authorities could do to limit such activity
  • With the US still debating on the future of the country’s corporate tax rate, Brian Purcell of WTP Advisors Ireland sheds some light on the benefits of Ireland’s low rate and what lessons the US can learn from such a system.

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