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  • The president of Switzerland has said that complying with international standards on the exchange of tax information should not be only about the number of agreements a country can negotiate.
  • The European Court of Justice has confirmed the judgment in Cobelfret relating to dividends received from subsidiaries in other European Economic Area member states but has said national courts should decide on the treatment of dividends from third countries.
  • The Indian minister for finance will have a challenge on his hands to manage taxpayers' expectations when he stands up in parliament to deliver his budget on July 6. He is facing demands from industry groups to reform the corporate tax system, including cutting rates, and pressure from multinational companies to deal with their priorities, such as transfer pricing risk.
  • US law firm McCarter & English has appointed Kenneth Yoon as a partner in the tax and benefits practice in its New York office.
  • Australia has published its second forward tax work programme outlining the consultation process for announced tax measures and highlighting remaining measures the government still wants to introduce.
  • Investment funds will be able to claim millions back in overpaid dividend withholding tax from governments across Europe after a court ruling on Thursday.
  • The Australian Taxation Office (ATO) has released an external review of the advance pricing arrangement (APA) programme together with an initial response to the recommendations contained in the report.
  • The Amsterdam Court of Appeals hands victory to the taxpayer in a transfer of goodwill dispute, limiting the taxes payable. Eduard Sporken, and Jenny Theresia of KPMG discuss the case and its implications.
  • TPWeek has joined Twitter, the micro-blogging and social networking site, to provide updates on the ever-changing world of transfer pricing.
  • European corporate income tax rates have continued to decline this year, a report has said.