Market leading insight for tax experts
View online issue

INTERNATIONAL TAXES


The UK DST in its current form may well breach the UK’s obligations under double tax treaties, international trade law, or both, write Rupert Shiers and Jonathan T Stoel (Hogan Lovells).
Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
What are the tax and customs implications of new Withdrawal Agreement and non-binding post-Brexit Political Declaration? Richard Asquith (Avalara) reviews. 
Brin Rajathurai and Murray Clayson (Freshfields Bruckhaus Deringer) examine the proposals on ‘pillar one’ of an international solution to the taxation of multinational enterprises in the digital economy by 2020.

UK charities are increasingly encouraged to become limited partners in private equity funds targeting US acquisitions. Thomas Dick (DLA Piper UK) examines the related tax issues.

Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
Graham Samuel-Gibbon and Will Egan (Taylor Wessing) consider HMRC's updated list of double tax treaties and the tax implications for groups with entities in those jurisdictions.
The UK has published draft regulations adopting an EU directive that promises faster resolution of double taxation disputes between member states.
Tim Sarson (KPMG) assesses the latest developments that matter in the international tax arena.
Robert O’Hare and Jefferson VanderWolk (Squire Patton Boggs) review the operation of the draft rules and speculate on their implementation.
EDITOR'S PICKstar
Top