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 33,174 results that match your search.33,174 results
  • The Isle of Man parliament has confirmed that it will move fully to automatic exchange of information next year.
  • A leading UK barrister has predicted that the European Court of Justice will support member states' efforts to collect tax.
  • The Canadian tax authority confirmed they will respect solicitor/client privilege but will seek to review auditor's working papers in certain circumstances. Practitioners and clients need to be conscious of the risks when dealing with tax reserves and financial statements warns Bill Maclagan of Blake, Cassels & Graydon.
  • Spain unjustifiably restricts the free movement of capital in the EU by treating dividends paid to non-residents less favourably than those received by resident shareholders, the European Court of Justice has ruled.
  • An Indian authority has delivered a ruling that will offer relief to taxpayers who are involved in more than one dispute with the tax authorities.
  • Failure of a Member State to fulfil obligations; Freedom to provide services and free movement of capital; Articles 49 EC and 56 EC and Articles 36 and 40 of the EEA Agreement; Direct taxation; Taxation of interest received; Discriminatory treatment of non-residents; Burden of proof; Netherlands' dividend withholding tax was contrary to the EU freedom of capital principle;
  • China and India have leapt up the table to join Japan at the top of the latest TPWeek poll to find the most aggressive transfer pricing officials in the world.
  • The Brazilian government has added 14 new jurisdictions to their blacklist of privileged tax regimes.
  • Samir Gandhi, Manisha Gupta and Radhi Raman of Deloitte in India discuss the overzealous use of penalty provisions in the country.
  • Companies operating in Poland are being forced to remain vigilant to avoid falling foul of the country’s strict transfer pricing rules which require documentation submitted in Polish within seven days of request.