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  • Media reports highlighting that the UK tax authority is involved in tax disputes worth £25 billion are misleading, and the figure is actually surprisingly low.
  • Forthcoming changes to Indian tax law, such as the introduction of the Direct Taxes Code in 2012, and amendments to the use of limited liability partnerships for foreign direct investment, mean that taxpayers will have to rethink how they traditionally have dealt with tax planning for holding companies in India, believe Srinivasa Rao and Rajendra Nayak of Ernst & Young
  • Holding companies established in Cyprus enjoy many tax advantages. However, investors should be aware that they need to show management and control, and substance in Cyprus, though there are no formal definitions of what are required, say Chris Damianou and Michalis Zambartas of Eurofast Taxand
  • The Finance Bill that was passed by the Bangladeshi Parliament on Tuesday includes a provision for the use of alternative dispute resolution in income tax disputes.
  • The hybrid instruments generically known as unit securities were a favourite of many public companies during the past decade. Thomas Humphreys, Remmelt Reigersman, and Jared Goldberger of Morrison & Foerster look at IRS guidance.
  • Colombian taxpayers that are required to prepare a Transfer Pricing Study no longer have to file an additional return form (form 1525), which details comparables information in the study.
  • In the second of a regular series, Rahul Garg, Shailesh Monani, Deepak Mahurkar and Chandresh Bhimani of PwC highlight the key challenges taxpayers face in key Indian industries. In this issue, the authors analyse the tax hurdles and opportunities in the oil and gas sector.
  • The last couple of years have witnessed a radical change in the Indian tax controversy landscape. Issues, which one would have thought are beyond the horizon a few years back, now occupy the most prominent space in the Indian tax controversy expanse. One such recent emergence is that of taxation of offshore transfer of shares of an overseas company. Arun Chhabra & Nidhi Gupta of Walker, Chandiok & Co investigate.
  • As India prepares for the most substantial shake-up to its tax system in 50 years, Salman Shaheen investigates the progress of tax policy there and why the US Secretary of State thinks it needs to be accelerated with the aid of the OECD.
  • The Supreme Court heard the case nearly a year after the AAR decision