HMRC secured lengthy prison sentences in a major payroll VAT fraud case, while law firms announced tax promotions and hires
Significant changes include an update to profit markers and an alteration to how an ‘inbound distributor’ is defined
ITR sat down for a pre-event interview with Tim Zech, WTS Germany, and Jeff Soar, WTS UK, keynote speaker at next week’s ITR AI in Tax Forum 2026 in London
Brazil’s bid to seek US-style exemptions from pillar two is ‘highly advantageous’ for multinationals, ITR has also heard
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Sponsored by AvalaraGovernments’ unprecedented access to transactional data is creating new indirect tax challenges for multinationals. Alex Baulf of Avalara summarises key regional developments ahead of a webinar sharing his practice-based insights
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Sponsored by Tax PartnerStephanie Eichenberger and Victoria Riep of Tax Partner provide a guide to Switzerland’s securities transfer tax for domestic and foreign investors, explaining when it is triggered and how to mitigate unexpected tax consequences
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Sponsored by CuatrecasasAndré Areias and Raquel Santos Ferreira of Cuatrecasas scrutinise Portugal’s use of increased municipal property tax on vacant properties and question whether extreme rate multipliers and weak procedural safeguards can withstand constitutional scrutiny
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In response to the OECD’s unified approach to taxing rights, Netflix has presented its own proposal to tax the digital economy based on revenue instead of sales.
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Anglo-Dutch corporate group Unilever has called for the OECD to link its digital tax proposals to the UN’s sustainable development goals.
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Despite being compliant with the law, Netflix continues to face harsh criticism for its European tax arrangements. Andrew Parkes, national technical director at Andersen Tax, reviews the company’s trial by media.
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Amazon has called for simplicity in the OECD’s global anti-base erosion (GloBE) proposal under pillar two of its work on the taxation of the digital economy.
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The UK Upper Tribunal ruled in favour of HMRC in an appeals case, where two Irish financial institutions tried to overturn a past ruling. Murray Clayson explores the case and its implications.
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Brendan Brown and Matt Woolley of Russell McVeagh assess the impact of Inland Revenue’s latest update to its Multinational Enterprises Compliance Focus document.
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