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BEPS


Ian Hyde and Catherine Robins (Pinsent Masons) consider how the dispute resolution measures in the MLI match up to concerns expressed in an earlier ICC survey.
 
Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
 

Allan Cinnamon (Cintax the Word Ltd) provides a quarterly update on tax treaty developments.

Rupert Shiers and Graham Poole (Hogan Lovells) review the likely areas for disputes in the coming year.

Anton Hume and Andrew Stewart (BDO) consider a concerning aspect of the new interest restriction that will come into effect on 1 April 2017.
 

Heather Self (Pinsent Masons) looks at the possible implications of the way this brings into effect a key recommendation from the BEPS Action 6 report.

Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
 
Sandy Bhogal and Kitty Swanson (Mayer Brown) consider the final output of action 15 of the OECD’s BEPS project and how this will apply to the UK.
 
Jeanette Zaman and Zoe Andrews (Slaughter and May) review recent tax developments affecting the City.
 
Eloise Walker (Pinsent Masons) considers the latest OECD proposals for banks under the BEPS Action 4 interest restrictions, and what they might mean for the UK banking sector.
 
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