This content is from: Global Intangible contributions in the automotive industry under BEPS In the fourth of a series on intangibles, Philip de Homont and Alexander Voegele, both of NERA Frankfurt, examine how to deal with contributions by many group companies. December 15 2015
This content is from: Global The Cunningham column: China gets ready to lead tax world in 2016 China will be at the forefront of BEPS implementation in 2016, as president of the G20. Ralph Cunningham says it is a big opportunity for a non-OECD member to shape the international tax system. December 15 2015
This content is from: Global BEPS Special Matthew Gilleard introduces this exclusive, comprehensive insight into the work of the OECD in the area of countering tax base erosion and profit shifting (BEPS). Within these covers you will find out about the key me... December 15 2015
This content is from: Global The Brockman brief: BEPS implementation: A holiday wish Drafters of the new base erosion and profit shifting (BEPS) actions and precision watchmakers share a common wish; that their immeasurable efforts devoted to refining and juxtaposing complex parts result in an instrum... December 15 2015
This content is from: Global Intercompany charges below EBIT: A double-edged sword Luis Abrantes, tax director and head of transfer pricing at Carlsberg Group, draws on practical experiences to unpick the intricacies of intercompany charges. December 15 2015
This content is from: Global 2016 Look-Ahead: BEPS implementation to dominate international tax landscape With the final deadlines for the OECD’s BEPS Project falling at the end of this year, 2016 was always going to be a year dominated by questions about implementation. While BEPS-related activity is not the only issue o... By Joe Stanley-Smith & Matthew Gilleard December 15 2015
This content is from: Sponsored European Tax Awards 2016: Submission period now open Companies and firms can now enter for the European Tax Awards 2016. By Matthew Gilleard December 10 2015
This content is from: Kenya Treaty analysis: South Africa and Kenya’s double taxation agreement A new double tax treaty (DTT) between South Africa and Kenya has been passed by officials which will strengthen capital import rules and will take effect from January 1 2016. By Amelia Schwanke December 08 2015