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 33,146 results that match your search.33,146 results
  • Read this month's special feature on Mexico
  • Type of Deal Value Acquirer Target Adviser to acquirer (tax) Adviser to target (tax) Merger $28 billion Enbridge Spectra Energy Corp Sulliavn & Cromwell; McCarthy Tetrault Wachtell, Lipton, Rosen & Katz: T Eiko Staneg & David Sturgeon; Goodmans Merger $14 billion Pfizer Medivation Ropes & Gray Wachtell, Lipton, Rosen & Katz: T Eiko Staneg & David Sturgeon; Cooley 60% sale of ownership $10.1 billion Aga Khan Fund for Economic Development Telia Company AB: Tcell
  • The result of the European Commission’s investigation into Apple’s tax affairs has ruffled feathers on both sides of the Atlantic. Caroline Byrne sits down with Joe Kennedy to get a US perspective.
  • The European Commission (EC) has released figures on the 'VAT Gap' that support its plan to overhaul the EU's VAT system and introduce a definitive regime for cross-border trade in the EU.
  • With tax authorities being granted more and more company data as transparency measures start to hit, Keith Brockman looks at how companies could scrutinise them.
  • Margrethe Vestager is known for taking items out of her friends’ shopping baskets if she feels they are making the wrong decision. The EU Competition Commissioner is not short of opinions when it comes to the world’s most powerful companies either – routinely provoking disagreements with major corporations since becoming commissioner in 2014. Lena Angvik takes a look at the lady behind the state aid investigations.
  • Revenue Secretary Hasmukh Adhia speaks to reporters after the Cabinet meeting on September 12
  • A Philippines tax amnesty may be available as soon as next year The Philippines is planning to offer a general tax amnesty that will be open to corporations and individuals resident in the country and abroad to boost revenues and expand the tax base.
  • Alexander Linn Thorsten Braun In a decision dated April 22 2016 (6 K 1947/14 K, G), the Tax Court of Duesseldorf ruled that in the course of a cross-border downstream merger, the shares in the surviving entity must be capitalised at book value.