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  • Two new partners of Sullivan & Cromwell have tax litigation experience. Nicolas Bourtin specialises in white-collar criminal defence and internal investigations, class action defence, and securities and complex civil litigation. He has represented individuals, corporations and financial institutions in matters involving tax fraud and is representing individuals in a Department of Justice tax shelter investigation
  • First subparagraph of Article 104(3) of the Rules of Procedure - Answer clearly able to be deduced from case-law - Free movement of capital - Taxation on income - Company having permanent establishments in a non-member state - Account taken of losses incurred by those establishments.
  • Three of the 57 new partners admitted by PwC in China and Hong Kong are transfer pricing specialists. They are among 11 new tax partners.
  • José Luis Gonzalo, Ramón Palacín, Juan José Terraza, Carlos Gabarró, Eduardo Sánchez and Vanessa Hernández of Ernst & Young in Spain analyse the regulations take effect in 2008
  • In the second part of a TP Week interview with the HMRC's Roy Warden, he points to fewer inquiries but the possibility of more litigation
  • The Israeli tax authorities have published a form for the reporting of cross-border transactions.
  • The Income Tax department says Indian companies can enjoy same benefits as US companies
  • French SCIs and Luxembourg companies
  • Sean Foley On September 27 2007, the Internal Revenue Service (IRS) issued a coordinated issue paper (CIP) that provides guidance to IRS personnel concerning methods which may be applied in evaluating the arm's length charge for pre-existing intangible property made available, for purposes of research, pursuant to a qualified cost sharing arrangement (CSA) (LMSB-04-0907-62).
  • Gregory Broome has been recruited as a tax partner in the Washington DC-based international law firm Wilson Sonsini Goodrich & Rosati.