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  • Corporate tax directors in the US are weighing up the possibility of repatriating foreign earnings after the Internal Revenue Service (IRS) issued its latest round of guidance on a JOBS Act 2004 provision that allows companies to bring funds back to the US at a reduced rate of tax
  • Gary Brothers, a former tax investigator at HM Revenue & Customs, the UK tax authority, has joined Deloitte's Leeds office
  • Regulation (EC) No 1798/2003 – Directive 2003/93/EC – Choice of legal basis – Concept of ‘fiscal provisions’.
  • VAT – Capital goods acquired by a body governed by public law – Public authority – Transaction engaged in as taxable person and transaction engaged in as non-taxable person – Right to adjustment and deduction.
  • The cover story of the June issue of International Tax Review, the annual survey of tax directors in Europe, the Middle East and Africa, reveals who rules the tax roost in Europe and how tax directors are reacting
  • Martin Zetter, former head of global transfer pricing at BNP Paribas, has moved to LECG, the economics and transfer pricing firm
  • The European Court of Justice (ECJ) has ruled that a company may deduct input tax on supplies received in connection with a new share issue provided that its economic activities are subject to value-added tax (VAT)
  • The UK government last Thursday signalled its determination to clamp down on tax avoidance when it published a new Finance Bill that contained a raft of measures aimed at multinational companies. The bill modifies some of the provisions previously announced in the Budget to target them more precisely, but UK tax professionals have said that the measures could damage the country's international competitiveness.
  • The best international tax advisers in Europe gathered at Claridge's in London last Wednesday night to celebrate the best in tax work done over the past year and to receive awards for excellence in tax services
  • The Russian tax authorities are moving towards the beneficial ownership concept regarding the application of double tax treaties (DTTs) concluded by the Russian Federation. This new approach is reflected in a number of private clarifications issued by the Russian Ministry of Finance to address specific cases of application of DTTs to foreign partnerships receiving Russian-source income.