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  • It is stating the obvious to say that current international efforts to tackle base erosion and profit shifting (BEPS) have attracted a great deal of global attention. Since the OECD and G20 countries, working together on an equal footing, adopted a 15-point action plan to address BEPS in September 2013, the focus on this issue has steadily grown. David Bradbury, head of the tax policy and statistics division at the OECD Centre for Tax Policy and Administration, and the man overseeing this aspect of the project, provides exclusive insight into an action point that has not always received as much attention as other items in the Action Plan.
  • The Indian Ministry of Finance has issued a fresh notice preventing the collection of taxes on transfer pricing cases for Indian subsidiaries of UK resident companies undergoing a mutual agreement procedure (MAP).
  • The European Tax Awards 2015 were presented on May 21 at a dinner at the Grosvenor House Hotel in London.
  • A recent Italian court ruling has emphasised that comparable uncontrolled price (CUP) is the most suitable approach to quantifying an arm’s-length value.
  • Current account structures enable companies in the same economic group to make cash available to each other, generating reciprocal obligations of booking the amounts corresponding to withdrawals and disbursements of cash, without one being considered a creditor or debtor of the other.
  • The Indonesian Minister of Finance has rejected claims that the country’s corporate tax rate will be cut to less than 18%.
  • This year's Americas Tax Awards will take place in New York on September 17. Make sure you are ready to compete.
  • Andrus Ansip, European Commission vice president for the digital single market, has promised to launch a proposal for an EU-wide VAT threshold on business-to-consumer (B2C) e-services “as soon as possible”.
  • Watson Farley & Williams has promoted Daniel Pilarski to the firm’s partnership in New York.
  • Marcelo Vicentini of Standard Chartered in Brazil discusses the differences between OECD member countries and non-members when it comes to asset management transfer pricing.