International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Search results for

There are 33,194 results that match your search.33,194 results
  • After the European Court of Justice struck down VAT avoidance schemes in three UK cases, HM Revenue and Customs will review 175 related U.K. court cases by April 22.
  • Peter Dunne, the New Zealand Minister for Revenue, revealed the government's tax policy work programme for the next few months at the annual conference of the country's branch of the International Fiscal Association. A review of business tax rules is on the agenda
  • Mazars, Ireland's seventh-largest accounting firm, has bought OJ Kilkenny & Co, which counts U2 and Bryan Adams among its corporate and entertainment clients. The new firm intends to grow by providing financial, tax and business advice to specific industries, such as sport and entertainment
  • The OECD is to consult business on the application of transactional profit methods under the OECD transfer pricing guidelines.
  • The government will allow a 150% deduction from annual returns for research spending. The tax breaks are part of a 15-year plan to encourage investment in knowledge-based industries.
  • The European Commission has "no ambitions" to harmonize corporate tax rates throughout the EU, according to Laszlo Kovacs, the European Commissioners for Taxation and Customs Union, in a speech to the European Movement in Ireland.
  • Sixth VAT Directive – Exemptions – Article 13A(1)(b) and (c) and (2) – Medical care – Care provided in the exercise of the medical profession – Medical tests provided by a laboratory and ordered by a medical practitioner.
  • Determination of the place where taxable transactions are effected for the purposes of VAT imposed and collected under Sixth Council Directive 77/388/EEC (‘the Sixth Directive’).
  • Reto Savoia and Stefan Kuhn of Deloitte discuss certain key aspects of M&A transactions/leveraged buy-outs in Switzerland in light of the current tax environment
  • Switzerland's tax regime has a lot of advantages for any multinational corporation thinking of locating a headquarters there, explain Thierry Sauvaire and Andreas Müller of KPMG