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  • Corina Carpov Over the last few years due to the lack of a clear procedure many Romanian employees of multinational companies, whose salary income was subject to double taxation in Romania and another country, have encountered difficulties in applying for fiscal credit. From 2011, with an amendment of the Fiscal Code, the procedure has become more transparent.
  • Sunil Kothare: The GST is on its way Taxpayers in India can no longer put off preparation for the proposed goods and services tax, despite no formal framework being published, says a leading tax director.
  • Transfer pricing in Poland not only covers tax regulatory issues and compliance aspects but it can influence the evaluation and business structure. Aneta Blazejewska-Gaczynska of Ernst & Young argues that if properly addressed during a transaction, it can give an investor a lot of valuable information to be translated into short and long-term benefits.
  • Agnieszka Talasiewicz of Ernst & Young explains that a stable tax system, friendly tax authority and numerous tax incentives all point towards Poland being a sound location for foreign investment.
  • A federal court in Australia has ruled that buildings manufacturer James Hardie did not owe capital gains tax as a result of a 1998 restructuring.
  • Poland was one of the few European countries to survive the global economic collapse relatively unscathed. Jacek Kedzior of Ernst & Young explains how the country's economy recovered and how the country’s tax law is a key attraction for foreign investors.
  • Period of change
  • Marc Quaghebeur joined De Broeck Van Laere & Partners as a partner on September 1. The Belgian law firm has offices in Brussels and Ghent. He was formerly with Vandendijk & Partners, where he specialised in the law relating to holding companies and investment funds, real estate taxation, the taxation of trusts in Belgium as well as estate planning.
  • On August 19 2011, the Canadian Department of Finance released a package of proposed amendments including significant changes to the tax rules governing the taxation of income earned by foreign affiliates of Canadian taxpayers (the proposals).
  • Simeon Grigorov The definition of permanent establishment and the taxation of business profits are precisely inter-related and therefore can reasonably be considered common.