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  • KPMG has expanded its International Corporate Services practice with the addition of Jeffrey Rubinger as a principal in the Fort Lauderdale office.
  • Gary Thomas of White & Case reports on litigation that made clear that the Japanese tax authorities must have a legal basis for making an assessment and not rely on a tax avoidance argument
  • Machiel Lambooij Freshfields Bruckhaus Deringer
  • Vittorio Salvadori di Wiesenhoff Freshfields Bruckhaus Deringer
  • Brendan Brown
  • Joel Williamson, Scott Stewart, and Kelsey Arnold of Mayer Brown review some key themes, such as economic substance, from US tax litigation since the 1990s. They predict a return to traditional statutory and regulatory arguments in the tax cases of the future
  • Mukesh Butani
  • Hatasakdi Na Pombejra
  • Revisions of previous guidance is showing signs of a more conciliatory approach by the UK tax authorities. However they are still prepared to litigate, points out Helen Buchanan of Freshfields Bruckhaus Deringer
  • Manuel Sainz Orantes and Alejandro Torres Rivero of Chevez, Ruiz, Zamarripa y Cia discuss how tax litigation has changed in Mexico, noting that the tax authorities are complying more with the law. However, recent Supreme Court judgments have not always abided by legal provisions