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June 2006
Main
Big four battle it out
Solomon awaits Treasury confirmation
New decisions on international tax avoidance
Tax proposals for 2007 released
New rules for tax-exempt mergers and spin-offs
What the 2007 tax reforms hold
Electronic tax return scheme launched
Bad-faith taxpayers defined
Court rules on fringe benefits for expatriate employees
Tax treaty network spreads further
Why the country is best-placed for business headquarters
Advocate General says controlled foreign companies rules can be compatible with EU law
Revealing the uncertain consequences of cross-licensing agreements
IRS issues final cross-border stock transfer rules
Ernst & Young's UK tax head targets tax accounting systems for growth
IRS standards chief comes back to private practice
Garrigues
P+P Pöllath + Partners
Uría Menéndez
Cerha Hempel Spiegelfeld Hlawati
Ernst & Young
Baker & McKenzie
PLMJ
PricewaterhouseCoopers
Dewey Ballantine
Atoz Tax Advisers
Letter from the editor
VAT proposals for EU put the clock back
Budget disappoints on reform
Canadian corporate rate cut in business-friendly budget
US reconciliation bill shakes up international tax provisions
EU taxpayers can avail of lower rates
KKR tax structure unlocks capital benefits of listing
Who's worked on the biggest deals
Asia forum draws the tax community together
Roundtable: How to find and keep tax staff in Asia
Interview: Joel Walters on accepting the Vodafone challenge
Court investigates permanent establishment in India
How Alcatel-Lucent and Daimler Chrysler mergers compare
Interview: New CIOT president speaks out on rule of law
The benefits of multilateral APAs explained
Open wide for more disclosure
How the ECJ has confused fund managers
What the new foreign exchange rules mean
Tax decisions shed fresh light
Rulings recognize economic and legal ownership of intangibles
Treaty with Spain reduces withholding income tax
Key issues in the federal Budget
Tax payments in a foreign currency
Windfall tax on the petroleum industry introduced
Towards the end of withholding taxes?
Ruling on foreign companies with captive business process outsourcing units
International Correspondents
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New Analysis
Tax Relief
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