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September 2007
Main
Developing Asia
Finnish taxpayer loses at ECJ
Supreme Court clarifies tax position of foreign companies with outsourced services in India
Tax considerations in acquisitions of high-tech companies
Limitation of the tax deductibility of director's compensation payments
Government financial aid for investments in the audiovisual field
Tax treaty between Mexico and the Slovak Republic
Clarification on interpretation of term material employer
New rules on advance tax rulings
Blacklist for application of participation exemption for dividends
Changes to secondary taxation
NTS announces tax audit directive for 2007
New transfer pricing regulations
New proposed CFC legislation
End to tax dispute in relation to the deductibility of hedging costs from warrants
IRS identifies another cross-border event as ''listed transaction''
Cross-border hybrid instrument transactions to gain increased scrutiny during IRS audits
Who's worked on the biggest deals
E&Y tax leader joins Moss Adams
Mr Kleinbard goes to Washington
Grant Thornton recruits new transfer pricing leader
Markson quits Credit Suisse for the law
Sue Bonney to run KPMG Europe's integrated tax operation
New Irish tax president selected
Fried Frank tax attorney promoted to partner
Blumenthal goes to Mishcon
Taj adds three new partners
Alston & Bird gains DC international tax partner
BMR & Associates
Kim & Chang
Ernst & Young
Editorial
Tax treatment of fund managers under attack
A tax dilemma for the Irish
German corporate tax benchmarks low tax states
Doggett bill faces uncertain future
New Treasury team faces major collective challenge
Vodafone CFC case set for another round
US priority guidance plan receives mixed response
South Korea extends tax benefit
New treaty for Australia and Japan
Then there were three
Under-fire Australian government announces draft tax reforms
Czech government wins corporate tax cut
Uganda's high telecoms taxes condemned
Barbados premier calls for UN taxation policy
Antigua engages US law firm for tax law rewrite
UK proposes changes to foreign profits taxation
LNG and oil sands under attack
Learning to manage VAT risk
Sempra ruling ends divided tax bias
Landmark rulings shape transfer pricing policy
Case law against leveraged buyouts
Inheritance and gift tax repealed by Constitutional Court
Division 7A: an opportunity to rectify exposures
Excess profit of Belgian central entrepreneur exempted on 'stand alone basis'-principle
Specific tax incentives
Treaty shopping - the next chapter
Tax treaty signed between Costa Rica and Spain
Interpretation of the China - Hong Kong double tax arrangement
2008 tax reform targets business restructuring
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