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More than 100 speakers lined up at a November 21–22 Paris consultation to share their views on the OECD Secretariat’s compromise proposal to update to the rules for allocating multinational group ...
For those observing the global digital tax talks in the last couple of months, the trajectory of the discussions did not seem promising. In January, the OECD declared the technical discussion on ...
Part two of two. This article summarizes discussion of the “pillar two” proposals at the OECD digitalization consultation, held March 13–14 in Paris, which featured more than 50 speakers. The pillar ...
250+ international tax and transfer pricing experts have published with MNE Tax, including eminent tax professors and other academics, current and former government and OECD tax officials, and some of ...
Fernando Juarez Hernandez, a tax attorney in Mexico City, discusses a Mexican bill introduced to Congress August 21 that would tax digital platforms . . .
In the opening weeks of 2020, most transfer pricing practitioners were fixated on the OECD reform proposal for taxing digital commerce. The OECD seemed poised to re-write the rules of the game by ...
Francesca Amaddeo, Tax Law Competence Centre (SUPSI), discusses the February 21 virtual “OECD Tax Talks” webinar to assess the world’s progress in implementing the historic OECD/G20 two-pillar ...
Poland’s Ministry of Finance has been participating since November in a project coordinated by the European Commission to reform the Polish transfer pricing regulations. The project is planned to take ...
Ivan Shynkarenko, KM Partners, WTS Global, discusses a new procedure applicable to advance pricing agreements for transfer pricing purposes, adopted by Ukraine's Cabinet of Ministers on October 28, ...
In a statement released after their January 29--30 meeting, 137 countries that make up the "Inclusive Framework on BEPS" renewed their commitment to try to reach an agreement on an update to the tax ...
The US Treasury announced on November 22 that it has reached an agreement with the Turkish government on Turkey’s transition from its digital services tax to the new taxing rules under the . . .
To reach international agreement, a global minimum tax deal would need to exclude from minimum taxation income from substantive activities within a jurisdiction, according to Pascal Saint-Amans . . .
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