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 33,122 results that match your search.33,122 results
  • Representatives of the governments of the UK, the US, Canada and Australia met in secret in London to set up a global computer database listing taxpayers who use tax avoidance schemes and their advisers. The four countries will share detailed information on companies and individuals that avoid tax.
  • The European Commission (EC) has ruled that Sweden’s amended energy tax system does not breach EU law
  • The US Sarbanes Oxley legislation, which prevents firms from providing certain tax services to audit clients and imposes strict rules to ensure auditor independence, is forcing tax advisers in Germany to consider their career development options
  • Mohamed Al Fayed, the boss of the UK department store Harrods, on June 29 2004 lost his appeal to overturn a Scottish court ruling which removed his special tax status. Al Fayed, who plans to appeal the decision in The House of Lords, said the case could have implications for taxpayers who enter into agreements with the Inland Revenue.
  • Patrice Lefevre-Pearon, a French tax expert formerly at law firm De Pardieu Brocas & Maffei, has moved to US firm Morgan Lewis & Bockius. Lefevre-Pearon took two associates with him to join the 15-lawyer Paris office of the firm and will focus on domestic and international tax.
  • The French multinational Vivendi Universal on June 1 2004 lost a US court battle over disputed tax payments linked to the group's €12.4 billion ($15 billion) acquisition of USA Networks more than two years ago. The court ruled that Vivendi Universal should make multi-million dollar payments to cover tax liabilities incurred by IAC, the interactive group, on preferred shares held in Vivendi Universal Entertainment, the joint venture company created by the USA Networks transaction.
  • Evgeny Astakhov, Ernst & Young’s head of international tax in Russia, has left the firm to join BP, the multinational oil company as general tax counsel
  • When a non-resident individual is planning to make long-term investments in Spain, they should not forget to analyze the tax implications that may eventually arise for the heirs
  • The Mumbai Tribunal in Maharashtra State Electricity Board v. DCIT (83 TTJ 325), examined applicability of the old India-UK Double Tax Avoidance Treaty (DTAA), which was substituted by new DTAA in 1994, to fees received by a UK-based firm of solicitors for legal services provided to an Indian company
  • Caroline Silberztein, head of transfer pricing at the OECD, and Donald Korb, chief counsel of the US Internal Revenue Service, are two of the big names down to speak at International Tax Review's Global Transfer Pricing Forum 2004 in Berlin. The event takes place at the Ritz-Carlton hotel on Wednesday September 29 and Thursday September 30.