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  • After an in-depth investigation opened on February 8 2006, the European Commission concluded on July 19 2006 that a Luxembourg preferential tax regime, the Exempt, Milliardaire and Financial Holdings of 1929, violates EC Treaty state aid rules (article 87).
  • The tax priority in a UK commercial mortgage-backed conduit securitization is to ensure the conduit does not enable investors to profit from the parent company's success. Claire Jones looks at how this was done for the recently-launched Windermere VIII conduit, the biggest of its kind in the UK
  • The opinion in the Thin Cap Group Litigation case at the ECJ considers that the relevant UK provisions before 2004 could be discriminatory. Simon Whitehead of Dorsey & Whitney analyzes the reasoning and suggests who should take encouragement from it
  • For the first time, as from July 1 2006, foreign tourists that leave the country through air or sea may claim a Mexican value-added tax refund for the acquisition of merchandise to be exported, provided several conditions are met.
  • A German finance ministry report measuring economic product against corporate tax returns found businesses here avoided €65 billion ($84 billion) -worth of levies by taking advantage of low-tax jurisdictions. Die Welt, a German newspaper, reported the government's findings and a finance ministry spokesperson later confirmed these.
  • David Porter, who advised large and medium sized businesses on international tax while at the big-four firm, will become director of corporate tax at Chiltern.
  • A US court of appeal said the Internal Revenue Service could not see two memos KPMG prepared for the food company Yum! Brands. The case relates to an IRS investigation of Yum! Brands' tax liabilities for 1997, 1998 and 1999. The court decided the memoranda were priviledged.
  • Company income tax returns will grow from A$50 billion ($38.1 billion) in 2005-06 to over A$56 billion ($42.7 billion) for this financial year, according to the tax commissioner's statement in the Australian Taxation Office's compliance programme 2006-2007. The statement also outlines Australia's corporate tax priorities for the next year.
  • Allan Bullot, formerly Ernst & Young's indirect tax head, will join Deloitte in Auckland as an indirect tax partner on August 21. Teresa Farac, who was a PricewaterhouseCoopers partner, will start as a senior Deloitte partner in mid September.
  • David Riviere has become the national supply chain practice head of US-based business advisers Alvarez & Marsal. Riviere works from Atlanta.