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  • Implications of latest guidance. By Geoffrey Soh, Iwan Hoo and Ziad Rahman all from KPMG in Singapore
  • Nélio Weiss Philippe Jeffrey Decree 6.761/2009 was published in the official gazette on February 6 2009, with the objective to consolidate existing provisions concerning reduction of the withholding income tax (to 0%) on amounts paid or credited to beneficiaries resident or domiciled abroad, relating to the following:
  • Globalization has become a key term in a constantly changing business and economic environment that has experienced significant developments over the last decade.
  • Levente Torma and Balázs Kántor Hungarian law firm Horváth & Partners DLA Piper has hired two new tax lawyers.
  • US
    New cost sharing rules move towards arm's length standard. By Ron Schrotenboer and Ward Connolly, Fenwick & West
  • Accounting changes and transfer pricing implications. By Dave Barberi, Wendy Chiu and Yishian Lin of PricewaterhouseCoopers
  • UK
    How to unlock cash for the business. By Shiv Mahalingham, Alvarez & Marsal Taxand UK
  • Multinationals should reassess their advanced pricing agreements as the economic downturn puts pressure on existing transfer pricing models.
  • Clemens Hasenauer Johannes Prinz The Austrian ministry of finance has recently issued new guidelines on the tax treatment of securities lending and repo transactions.
  • Sabine Ziesecke Staff assigned to work in Germany for longer than six months generally become tax-resident (183-day rule). Up to now, their German employer has usually been seen as providing them with a regular German place of work with the consequence that their accommodation costs were regarded as privately incurred. Contribution by an employer to the rent of a flat thus became taxable income as part of the salary package.