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  • A recent ruling has clarified the scope and objective of Double Taxation Avoidance Agreements between India and the UAE (DTAA). According to this ruling, if a taxpayer is liable to pay tax under the laws in force in one country alone, he cannot claim any relief under the DTAA.
  • Ask a tax professional about the major tax advice developments of the last 12 months and the answers will highlight the firm’s success. Ask a client and a different story emerges. Rosie Murray-West asks corporate tax directors about their loves and hates
  • The Norwegian foreign tax credit rules have been widened in recent years to allow Norwegian parent companies to claim more credits than were previously available. Unni Bjelland of Ernst & Young in Norway explains how to make the most of the new regime
  • Many specialists believe that direct tax harmonization is years away. But, as Peter Nias and Nicola Purcell of McDermott, Will & Emery in London argue, recent EU initiatives and court decisions have quietly brought a unified tax system a step closer
  • The State of Michigan has dropped its proposed taxation of foreign corporations, following intensive lobbying by Canadian trade associations.
  • Growing controversies such as the Notice 98-11 debate, have forced the IRS to reconsider its attitude towards CFCs. Andrew Immerman of Alston & Bird in Atlanta considers the debate and offers advice on how multinationals can plan amid the growing uncertainty
  • Accounting firms have cautiously welcomed a report that could ease their transformation into multidisciplinary practices (MDPs). The report, by a commission of the American Bar Association (ABA), has recommended that lawyers should be allowed to practise law in organisations other than law firms. The ABAs' refusal to permit lawyers to practise in MDPs has been a stumbling block to the aspirations of the big five accounting firms.
  • US law firm Paul Weiss Rifkind Wharton & Garrison is advising Trinet Corporate Realty Trust in its merger with Starwood Financial Trust in a $1.5 billion stock-for-stock transaction.
  • Mexico’s two year old transfer pricing regime has been running smoothly, but uncertainties remain, particularly over documentation rules and secret comparables. Miguel Valdés, William Hahn and Nicolás Muñiz of Ernst & Young, New York and Mexico City explain
  • Charge of Deloitte brigade Clowning around at the CIOT Tax Litigator shifts to private firm Liu seduced by Sidley's charms KPMG recruits Brockway Smart moves for Arthur Andersen Sutherland Asbill expands in Washington