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  • Baker & McKenzie's Global Tax Practice has had an international focus since the Firm was established in 1949. More than 50 years of development has produced an unparalleled level of experience and professional resources internationally. With more than 450 tax attorneys in 36 countries Baker & McKenzie has the infrastructure and depth of talent to provide global integrated tax and legal solutions.
  • In a ruling released in April this year, Germany's highest tax court has referred a case to the European Court of Justice (ECJ) that gives this body the opportunity to decide whether EU member states may deny their taxpayers a deduction for losses incurred in another EU member state (German Federal Tax Court ruling of November 13 2002 - IR 13/03).
  • Larry Gafinowitz and Peter McCullough of Deloitte & Touche discuss the potential benefits for Australian and non-resident companies in the 2003 Budget
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  • NautaDutilh has expanded its Luxembourg tax group. The Benelux firm hired Frédéric Feyten from Loyens & Loeff. Feyton was a senior associate at Loyens & Loeff. The firm is expecting to hire a number of junior tax specialists for its Luxembourg office.
  • Indian law firm Lexindia has launched a tax group in New Delhi attracting key big-four personnel and a corporate tax director. The firm, which also has offices in London, New York and Paris, has hired the former senior partner of PricewaterhouseCoopers India, Amal Ganguli and corporate tax director Vinod Sablok.
  • Foreign investments in Spanish real estate have increased considerably in the past few years, requiring proper tax planning. José Maria Cusí and Carmen Gómez de Cadiñanos of Clifford Chance reveal how to do it tax-efficiently
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  • Companies will soon need to adjust to new rules governing the utilization and creation of revenue losses, if legislation currently before parliament is enacted. The changes are largely beneficial to companies and are proposed to apply from the income year in which July 1 2002 falls.
  • As announced in our April 2003 international update, the Swiss federal tax authorities have issued on May 6 2003 an information letter (Rundschreiben) regarding taxation of stock options in Switzerland. This letter has a significant impact on the tax treatment of stock option plans in Switzerland. We believe that it is important to analyze the impact in detail for the issuing company and the individuals receiving stock options, as there are significant potential tax and social security saving opportunities.