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  • Tim Holmes and Thomas Bjerre of Ernst & Young Copenhagen outline the approach to the transfer pricing documentation requirements in Denmark.
  • David Swenson, global leader, PwC’s tax controversy and dispute resolution network, asserts that given the current environment, effectively managing and resolving tax audits and disputes worldwide should involve both coordinated global strategic planning and local tactical implementation.
  • Jorge Damarco Bruchou Fernández Madero & Lombardi – TaxandIng Enrique Butty 275 – piso 12
  • François Barette Fasken Martineau DuMoulin
  • Methodology Tax Controversy Leaders is a guide to the leading tax dispute resolution lawyers and advisers in the world. In addition to highlighting tax professionals, the guide also includes litigators and barristers who may not practise tax on a day-to-day basis.
  • Jeremy Geale KPMG10 Shelley Street
  • The taxation of income earned by controlled and related foreign companies has become an increasingly important question as Brazil’s economy develops, since a growing number of Brazilian businesses now have investments in foreign companies that constitute a relationship of control explains Maurício Pereira Faro of Barbosa Müssich & Aragão.
  • Paul Harrison of KPMG provides insight on how to ensure European taxpayers are well equipped to face any situation and help maximise their chance of a favourable outcome when they become involved in a tax audit or dispute.
  • Thierry Afschrift Afschrift Law FirmAvenue Louise, 208