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  • The Delhi High Court has ruled on some of the crucial aspects that determine the tax deductibility of payments towards intra-group services in the case of Cushman and Wakefield (India).
  • Ireland’s tax system is frequently in the headlines, with numerous references made to its aggressive tax planning and active role as a tax haven. The UK, on the other hand, is being applauded for its competitive structure. This leads many to question why Ireland’s tax system is viewed as a haven for avoidance rather than simply competitive.
  • By Nicole Fung and Michael Nixon, PwC Singapore
  • 30/F Bund Center
  • Methodology Indirect Tax Leaders is a list of the leading indirect tax advisers in the world.Inclusion in the guide is based on a minimum number of nominations received. Besides the required number of nominations, entrants must also possess (1) evidence of outstanding work in the last year; and (2) consistently positive feedback from peers and clients. Firms and individuals cannot pay to be recommended in Indirect Tax Leaders
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  • Steve Labrum has been appointed as a financial services transfer pricing (TP) partner in KPMG’s Canary Wharf office in London. Labrum has over 15 years of TP experience and was previously global head of transfer pricing at Alvarez and Marsal and a transfer pricing partner with EY.
  • The launch of an in-depth investigation by Joaquín Almunia, EU Competition Commissioner, into tax authority decisions relating to transfer pricing arrangements in Ireland, the Netherlands and Luxembourg brings a new dynamic to the debate on harmful tax competition. The timing of the investigation is unfortunate, given the reporting timeframe for the OECD’s BEPS and Ireland's active participation in that debate.
  • The Netherlands’ fiscal unity rules are in breach of the EU’s freedom of establishment principle, the European Court of Justice (ECJ) has ruled.
  • Formula 1 racing team McLaren has lost its claim, regarding a £32 million ($54.5 million) penalty fine imposed against it by the sport’s governing body, which it believed should be tax deductible in the UK. The decision of the Upper Tribunal in London underlines the UK authorities’ view that most fines are not deductible against trading income.