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  • With governments seeking to raise additional tax revenues to plug budget deficits, tax authorities are seeking to introduce and apply general anti-avoidance (GAA) legislation. Robert Henson and David Burke of Mason Hayes & Curran explain why a recent Irish Supreme Court decision has implications for multinational corporates doing business in and through Ireland.
  • Martin Phelan and Niamh Keogh of William Fry Tax Advisors – Taxand describe how Irish fund structures achieve tax neutrality, and the relatively few administrative hurdles that exist.
  • India’s finance minister, Pranab Mukherjee, has said that the share of direct tax should be 12% of the country’s GDP, and that it will soon reach that point.
  • Irish leader Enda Kenny signed up to the EU's fiscal compact on tighter budgetary controls in March, but this should not be taken as a sign the country will agree to EU harmonisation over corporate tax rates.
  • The average corporate tax rate among EU member states has increased for the first time in more than a decade, and taxpayers can expect fewer rate cuts while the financial crisis continues, according to advisers.
  • Conor Hurley and Jonathan Sheehan of Arthur Cox explain why Ireland is the ideal location for investment and explain why the country’s tax regime makes it the best location for structuring an acquisition, whether Irish or international.
  • The issue of executive remuneration is a hot topic around the world with governments keen to reduce executive packages and bonuses. Olivia Lynch of KPMG explains how Ireland is treating this topic through the use of the recently introduced special assignee relief programme and why the country wants to be the number one destination for foreign direct investment in Europe.
  • Luiz Felipe Centeno Ferraz, Alessandro Amadeu da Fonseca and Antonio Carlos Marchetti Guzman of Mattos Filho Veiga Filho Marrey Jr e Quiroga Advogados analyse the recently updated Brazilian transfer pricing rules and offer insight into what it means for multinational taxpayers.
  • On May 23 2012, the Supreme Court in London handed down its lengthy judgment in Test Claimants in the Franked Investment Income Group Litigation v Commissioners for HM Revenue and Customs.
  • Type of Agreement Country Country Date Signed Double Taxation Avoidance Agreement Kenya Mauritius May 7 2012 Tax Information Exchange Agreement Czech Republic Isle of Man Entered into force May 18 2012