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  • Silvania Tognetti has become a partner of Brasil Pereira Neto, Galdino, Macedo Advogados in Sao Paulo. She was formerly a partner of BM&A Consultoria Tributária – Taxand.
  • The US government has decided to reorganise its efforts in international tax administration in an effort to improve compliance.
  • The US Senate has approved a jobs bill (HR 1586) that will raise $11 billion in taxes on multinational corporations.
  • The US Court of Appeals for the Tenth Circuit has reversed the decision of the Colorado District Court which found in favour of Carlos Sala, who had used trading in foreign currency options to claim a refund of $26 million in taxes, interest and penalties from the Internal Revenue Service (IRS).
  • Ali Noroozi, Australia's Inspector-General of Taxation, has the challenging task of improving the often fraught relationship between large businesses and tax authorities. He talks to Tax Disputes about his review of the Australian Taxation Office's (ATO) large business audit and risk review policies, procedures and practices.
  • Dogan Yayin, Turkey's largest media company, has claimed a partial victory against the tax authorities in a case over TL4.8 billion ($3.2 billion) in fines for tax irregularities.
  • Taxpayers that have failed to comply with regulatory requirements for filing gain recognition agreements (GRAs) will find relief from liabilities and penalties under a new IRS announcement.
  • The US government has decided to reorganise its efforts in international tax administration in an effort to improve compliance.
  • The European Court of Justice (ECJ) has released its judgment in the AstraZeneca litigation, which sought to clarify the VAT treatment of staff vouchers used in salary sacrifice schemes, and ruled the company must account for the tax when passing on vouchers.
  • The UK Pensions Regulator’s decision to issue its second ever Financial Support Direction against 25 companies in the Nortel Group in Canada, the US, Europe and Africa is because, in part, of an investigation into the telecommunications group’s transfer pricing arrangements.