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DOUBLE TAX RELIEF


Richard Clarke, director in PricewaterhouseCoopers LLP tax investigations practice, looks at how dishonest use of tax havens is being targeted in the US as well as the UK response

Peter Cussons, Tax Partner, PricewaterhouseCoopers LLP, reviews the recent announcement from Treasury on the taxation of foreign profits proposals, examining what 'unbundling' the three-year discussion will really mean

Chris Morgan, Partner and Head of International Corporate Tax at KPMG (UK) LLP in the UK, rounds up the latest developments in the international tax world

Continuing his diary, Allan Cinnamon, International Tax Consultant at BDO Stoy Hayward LLP, continues to advise a US group, this time on structuring its European acquisitions

Card image Alastair Munro Alastair Munro Ulrike Schoeman

Alastair Munro, Director, KPMG, and Ulrike Schoeman, Manager, KPMG, consider the proposed foreign dividend exemption in the Foreign Profits DiscDoc

Peter Maybrey, Tax Partner, PricewaterhouseCoopers LLP, takes a more detailed look at the interest restriction proposals in light of recent developments

Expanded set-off rights
 
New Chair
 

Jose Madariaga, Tax Assistant, Dorsey & Whitney London, looks at UK double tax treaties and their impact on UK domestic law

M Grace Fleeman, Senior Technical Reviewer, IRS Office of Associate Chief Counsel (International), provides a US perspective on cross-border pension contributions

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