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  • Google’s Head of Trade and Economic Affairs Andrew Ure has stressed the importance of consensus on how to tax the digital economy, saying a multilateral agreement is the only real solution.
  • In recent years, the number of enquiries received by the Chilean tax authority regarding the impact in Chile from international and cross-border reorganisations has grown exponentially, write Santiago López and Stephanie Chacra of PwC Chile. Indeed, in past international updates we have reported how the Chilean IRS has been formulating uniform criteria for this purpose.
  • Facing fresh claims of tax avoidance, McDonald’s has defended its tax structure, telling International Tax Review why it moved its intellectual property (IP) from Luxembourg to the UK.
  • John Gu, Michael Wong and Alan O’Connor of KPMG Advisory take a look back at developments in China’s outbound investments in recent years and look ahead to what this market might hold for investors in the near future.
  • The public debate over corporate taxation is often emotive, and newspaper readers might presume that corporate tax functions are not doing the right things, writes Jon Dobell, EY global compliance and reporting leader of tax. But for a majority of corporations this perception could not be further from the truth.
  • Read this month's special features on Tax Technology and M&A
  • A recent technical interpretation released by the Canada Revenue Agency (CRA) confirms the CRA's position that withholding tax under paragraph 212(1)(d) of the Income Tax Act (Canada) (ITA) does not apply to lump-sum payments made to a non-resident of Canada for exclusive distributorship rights and also serves as a reminder to taxpayers of the breadth of the restrictive covenant provisions in the ITA.
  • New Law No 7144 (the Law) amending the Turkish Tax Procedure Code was published in the Official Gazette on May 25 2018. Through this Law, Temporary Article 31 was added to the Turkish Tax Procedure Code.
  • Christmas came early for football fans and indirect tax experts with both the FIFA World Cup and the US Wayfair case dominating the news in June.
  • Malaysia will bring in a sales and services tax (SST) in September 2018 to replace the unpopular goods and services tax (GST). Tax practitioners expect a “hybrid” SST regime that retains some GST features.