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TAX-TRANSPARENCY


The CJEU’s decision has reminded us that privacy rights cannot be ignored, no matter how worthy the aims of the transparency movement, writes James Quarmby (Stephenson Harwood). 
The latest on BEPS, tax transparency and transfer pricing, reviewed by Tim Sarson (KPMG). 
Card image David Wren Reinhart Devisscher Paul Radcliffe
Paul Radcliffe, David Wren and Reinhart Devisscher (EY) consider the next steps for the EU to develop this model, and some key areas which may need to be contemplated in light of the European Commission’s upcoming consultation.
Recent developments that matter from around the globe, reported by Tim Sarson (KPMG).
Chris Sanger (EY) considers five key trends that have moved forward over 2020 and are building up pressure for action in the future.
Toby Price and Alexandra Hawkins (Deloitte) discuss the SDLT treatment of tax transparent funds investing in UK real estate.
The progress of the European Commission’s proposal for public country by country reporting depends on whether it is regarded primarily as a tax or a company law matter. 

Wendy Walton (BDO) focuses on tax changes in 2018 that have an impact on key themes that are currently important to private clients: the creation and preservation of wealth, the transition of wealth to future generations, and tax transparency.

The draft legislation taxing non-residents on gains from UK land gives funds and their investors much to think about. Emily Clark and Jonathan Woodall (Travers Smith) consider the key points.
 
Sue Laing (Boodle Hatfield) reviews the long awaited consultation.
 
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