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 33,169 results that match your search.33,169 results
  • The test claimants in the UK thin-capitalisation group litigation against HM Revenue & Customs have won their challenge in the High Court in London that the rules infringed the freedom of establishment article of the European Treaty.
  • Loss making companies, those with strange profit patterns or with a large amount of related party transactions are the key targets of audits in China, according to leading advisers.
  • The UN tax committee will discuss drafting guidelines on transfer pricing at a meeting scheduled for January 2010.
  • The introduction of safe harbour rules to India is a “double-edged sword” and the tax authorities need to be careful with how they implement them, says a report.
  • Freedom of establishment – Corporation tax – Group taxation regime – Tax entity formed by a parent company and its domestic subsidiaries – Exclusion of subsidiaries established in another member state – Safeguarding the balanced allocation between member states of the power to impose taxes.
  • European law firm Field Fisher Waterhouse has boosted its tax team with the appointment of partner Pierre-Philippe Hendrickx. He joins the firm's Brussels office from Liedekerke Wolters Waelbroeck Kirkpatrick.
  • Failure of a member state to fulfil obligations – Free movement of capital – Article 56 EC – Articles 31 and 40 of the EEA Agreement – Direct taxation – Withholding at source on outgoing dividends – Set-off at the place of establishment of the recipient of the dividend, pursuant to a convention for the avoidance of double taxation.
  • Vispi Patel has left his role as head of direct tax at Economic Laws Practice in Mumbai
  • Wendy Nicholls and Leela Murugasu of Grant Thornton investigate how deep taxpayers must dive to find suitable comparables today.
  • Companies operating in China have until December 31 to prepare comprehensive transfer pricing documentation.