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  • Recent significant changes to the Russian Tax Code regarding profit tax of organizations were introduced by the federal law signed by President Putin on June 6 2005.
  • Acourt in Luxembourg has ruled that capital gains derived by a Luxembourg corporation from the disposal of shares in a French civil company having opted for French corporate income tax do not qualify for the Luxembourg participation regime.
  • The Minister of Finance's decree introducing regulations on electronic invoicing into the Polish tax law entered into force on August 4. This decree establishes ways and conditions of issuance and delivery of e-invoices as well as rules for their storage and presentation to the tax authorities.
  • Over the last few years, the Mexican Congress has passed several tax reforms that have changed the Mexican national and international tax landscape.
  • Roughly a year after the highest German tax court held that Germany's standard transfer-pricing statute could not be applied to an interest-free loan from a German resident shareholder to a German related party, even if the funds were used in a foreign permanent establishment (Federal Tax Court decision of April 28 2005 - I R 5,6/02), the German tax authorities have given notice of refusal to acquiesce in this ruling (directive of July 22 2005).
  • The opportunities of the Dubai commercial environment are becoming increasingly well-known among the multinational business community. One particularly important aspect is the opportunities for tax-efficient restructuring of key business functions in Dubai.
  • Court verdicts and new IRS rules have changed the way international tax advisers in the US help their clients, according to Marnin Michaels and Jeffrey Morse of Baker & McKenzie
  • Recently India and Singapore signed the Comprehensive Economic Cooperation Treaty, agreeing to provide various benefits for cross-border transactions in goods, services and investments. As part of this, the existing double tax avoidance treaty between the two countries has also been amended by a protocol. The amendments are effective in India from August 1 2005. Some of the key amendments are:
  • The streamlined sales tax project (SSTP) in the US will come into effect on October 1, after a meeting between state governments on July 1 in Chicago confirmed the project's thresholds will be met.
  • Luxembourg has a number of tax-efficient structures that help to boost private-equity investment there, explain Roger Molitor and Tim Mathey of KPMG