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  • The world is growing smaller and companies should put a single-transfer pricing focus on income tax, VAT/GST and customs duties to come out ahead, says Astrid Pieron and Charles-Albert Helleputte from the European Transfer Pricing Centre of Mayer Brown
  • Alison Last of Dorsey & Whitney explains why the First-Tier Tribunal's decision in the latest M&S hearing on the UK's group relief rules, does not provide certainty for every taxpayer with losses they want to surrender
  • Bob van der Made The European Federation for Retirement Provision (EFRP) and Pricewaterhouse-Coopers' EU direct tax group (PwC), based on a PwC study, jointly lodged complaints with the EU Commission in December 2005 against 18 EU member states aimed at ending their discrimination against non-resident EU based pension funds concerning the taxation of dividends and interest. The Commission agreed that this practice breaches EU rules on the free movement of capital (article 56 EC treaty).
  • Sophie Stylianou International trusts are instruments that if wisely used, may provide the ultimate tax planning tool to investors. Various jurisdictions are known for the beneficial tax treatment they have to offer to trusts registered therein, including Cyprus.
  • Anthony Lister, UK tax director of Sodexho, tells Georgiana Head the UK should get rid of the exempt and zero rated distinction
  • As well as being the first major UK transfer pricing case, the DSG litigation offers taxpayers some valuable lessons on strategy and dispute resolution, argues Murray Clayson of Freshfields Bruckhaus Deringer
  • Alan Winston Granwell, Jeffrey Korenblatt and Evan Migdail from DLA Piper discuss the implications of Obama's plans for taxation of foreign income
  • Q&A
    Marina Capel, head of tax, Asia at Thomson Reuters
  • Green taxes have a role to play in helping to roll back the effects of climate change, but they have the potential to make a tax director's job more difficult.
  • Following the G20 meeting and communiqué, the OECD Secretariat has issued a progress report on the jurisdictions that have implemented the internationally agreed tax standard. Mauritius is classified among the 40 jurisdictions that have substantially implemented these and is not treated as a tax haven.