Nicolas Duboille and Mathis Rossignol of Sumerson analyse the far-reaching implications of a French Supreme Administrative Court decision clarifying the application of Article 123 bis of the General T ...
Imposing the tax on virtual assets is a measure that appears to have no legal, economic or statistical basis, one expert told ITR ...
ITR’s most prolific stories of the year charted public pillar two spats, the continued fallout from the PwC tax leaks scandal, and a headline tax fraud trial ...
Overcoming new Romanian limits on deductibility for cross-border affiliate transactions through APAs
Adrian Rus and Georgiana Bizdrigheanu of EY Romania explain how advance pricing agreements can help taxpayers navigate Romania’s new deductibility limitations and improve predictability and efficiency ...
The EU has seemingly capitulated to the US’s ‘side-by-side’ demands. This may be a win for the US, but the uncertainty has only just begun for pillar two ...
Indian writ courts are increasingly scrutinising the mechanical invocation of extended limitation under goods and services tax, say Sahana Rajkumar, Derlene Joshna, and R Amrith of Lakshmikumaran and ...
MHA revealed that it had agreed to buy audit practice Moore Stephens and tax and consulting services firm Moore Stephens Consulting for £7.4 million ($10 million). The two firms are collectively ...
Emanuel Băncilă of Băncilă, Diaconu și Asociații SPRL, part of the EY Law global network, outlines practical strategies for Romanian taxpayers facing 'surprise' inspections and procedural limits ...
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