International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Search results for

There are 33,366 results that match your search.33,366 results
  • Goltsblat BLP has announced Evgeny Timofeev's appointment as a partner. He will lead the firm's Russian and Commonwealth of Independent States (CIS) tax practice.
  • Kimberly Tan Majure has joined KPMG's Washington national tax practice as a principal in the international corporate services group.
  • The results of a new OECD report, which says that companies are engaging in aggressive tax planning measures to unfairly claim losses and avoid paying taxes, will not come as a surprise to countries that have been watching their tax revenues steadily decline.
  • Edward Tanenbaum Tola Ozim On July 14 2011, the Internal Revenue Service (IRS) issued Notice 2011-53 detailing a new delayed phase-in of certain of the provisions of the Foreign Account Tax Compliance Act (FATCA).
  • Prime Minister Julia Gillard publishes draft carbon law Australia has released draft legislation detailing how its carbon pricing mechanism will be structured and enforced.
  • Pascal Saint-Amans
  • With Switzerland and Germany reaching agreement on a deal to prevent tax evasion through Swiss bank accounts from influencing Germans’ investment decisions, and a Swiss deal with the UK announced on August 24, Matthew Gilleard looks at where this leaves international efforts to clamp down on tax evasion.
  • Salman Shaheen speaks to David Gauke, Exchequer Secretary to the Treasury and the man behind UK tax policy, about reform, competitiveness and tax justice.
  • Jo-An Yee and Maurice Sae-ung of Ernst & Young explain how the adoption of a wider scope of exchange of information clause enables the rapid extension of Hong Kong’s tax treaty network.
  • Finance Act 2011 introduced significant changes to Ireland’s securitisation regime, including the welcome inclusion of commodities in the list of qualifying assets for investment. The Act also introduced changes affecting the rules on the deductibility of profit participating interest and swap payments in certain cross border structures. Andrew Quinn and William Fogarty of Maples and Calder explain the benefits.