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  • A ¥14.1 billion ($156 million) reversal of an income reassessment against TDK Corporation is a welcome sign that Japanese tax authorities are listening more to taxpayers, said industry experts.
  • After several months' discussion with HM Revenue and Customs in the UK, Ladbrokes, the gambling company, has received an £80 million ($123 million) rebate.
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.
  • The Mumbai High Court has ruled that that the country's tax authorities have the right to pursue Vodafone over its estimated $2 billion tax bill.
  • The dispute resolution panel at International Tax Review's Global Transfer Pricing Forum will focus on planning transfer pricing policies to avoid disputes, achieving settlements and using advanced pricing agreements (APAs).
  • The Federal Court of Australia yesterday dismissed an appeal by RCI Pty, a wholly owned subsidiary of James Hardie Industries, against a claim by the Australian Tax Office (ATO) for A$459 million ($412 million) in unpaid taxes, interest and penalties.
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.
  • The latest ruling in the long-running Indian Vodafone dispute will be issued on November 16, the Mumbai High Court has confirmed.
  • Multinationals operating in Taiwan need to consider new approaches to dealing with withholding tax after the country's Supreme Administrative Court contradicted tax guidelines issued only last year.
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.