The ‘deeply flawed’ report is attempting to derail UN tax convention debates, the Tax Justice Network’s CEO said
Salim Rahim, a TP specialist, had been a partner at Baker McKenzie since 2010
While the manual should be consulted for any questions around MAPs, the OECD’s Sriram Govind also emphasised that the guidance is ‘not a political commitment’
The landmark Indian Supreme Court judgment redefines GAAR, JAAR and treaty safeguards, rejects protections for indirect transfers and tightens conditions for Mauritius‑based investors claiming DTAA relief
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Sponsored by PwC ChileSandra Benedetto and Paula Campusano of PwC Chile analyse recent Chilean Internal Revenue Service rulings that adopt a new methodology compared with the criteria set in previous administrative instructions
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Sponsored by Lakshmikumaran & SridharanIndia’s recent trade deals and Union Budget 2026 reforms create opportunities and compliance considerations for exporters, say Rohan Muralidharan, Shobhana Krishnan, and Brijesh Dash of Lakshmikumaran & Sridharan
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Giles Parsons looks at the ways tax departments can prepare for the rise of carbon borders in a global economy.
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There has been a busy summer of transfers among leading firms in the tax world.
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Sanjeev Sharma, principal director of income tax at the India Income Tax Department, looks at the implications of the Concentrix case for multinational companies investing in India.
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Tax incentives for renewables remain insufficient to support green energy, according to ITR’s survey respondents. Taxpayers expect governments to end fossil fuel tax breaks and increase carbon and plastic taxes to tackle climate change.
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Because tax doesn’t have to be taxing. A less-than-serious look back at some of the quirkier tax stories from the past month.
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German tax authorities have updated their transfer pricing (TP) guidance to fully align the guidelines with OECD standards.
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Ireland’s Department of Finance is seeking public input on the OECD's two-pillar framework to identify the challenges and opportunities of the proposals, particularly the global minimum corporate tax rate.
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The European Commission is appealing the General Court decision in the Amazon state aid case. The Commission hopes to force Luxembourg to claim €250 million ($294 million) in tax from the US technology company.