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OECD


The UK reaches out, but is this the right time and in the right way? Steve Edge (Slaughter and May) examines the latest position on IP withholding tax.
 

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

Card image Bernhard Gilbey, Linda Pfatteicher, Tim Jarvis

Bernhard Gilbey, Linda Pfatteicher and Tim Jarvis (Squire Patton Boggs) examine the issues facing preferential tax regimes. 

Paul Daly (BDO) examines the impact of the OECD’s master and local file recommendations, and looks at how advisers can plan to manage these changes. 
 

Mark Middleditch (Allen & Overy) reviews recent developments affecting the City, including the consultation on interest expense and the corporation tax treatment of fines and related payments made by banks. 

Cristiana Bulbuc (Joseph Hage Aaronson) considers when tax planning spills into unacceptable practices.
 
Chris Morgan (KPMG) reviews the latest developments in the international tax world.
 
Daniel Head and John Monds (KPMG) provide your guide to the key components of the latest UK consultation on the new interest deductibility regime.
 
BEPS marks a turning point in international tax, but the work is not over yet.
 

Richard Collier and Philip Greenfield (PwC) review OECD's recommendations after publication this week of its final package of 13 reports constituting its base erosion and profit-shifting (BEPS) action plan.

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