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Showing 341 - 350 of 654 for "Awael Al Bahrain Management Consultancy" with applied filters

News & Analysis

Cooperation in tax collection: the increasing use of precautionary measures as a way of achieving a surprise effect.

18 May 2023 by PLMJ - Portugal: Priscila Santos, Raquel Santos Ferreira

In an increasingly interconnected world, where businesses expand their operations worldwide and capital flows across borders, not only does the issue of international taxation arise, but also cooperation between tax administrations, and this cooperation is an objective to be achieved in a European and international context.

News & Analysis

Transfer pricing: a strategic approach to pricing and revenue across countries

17 May 2023 by TPC Group - Peru

Currently, multinational companies face an increasing number of Transfer Pricing audits around the world, while tax authorities seek additional revenue and prioritize compliance and transparency.

News & Analysis

Interactions between transfer pricing and customs rules further to the Hamamatsu case: a potential turmoil in Luxembourg?

04 May 2023 by Baker McKenzie - Luxembourg - Antonio A. Weffer, Antonio Merino

More than five years ago, the Court of Justice of the European Union ("CJEU") ruled in the Hamamatsu Photonics Deutschland GmbH (“Hamamatsu”) case that, according to the former EU customs legislation , a taxpayer cannot make ex post adjustments to customs value based on an intercompany agreement for goods under an advance pricing agreement (“APA”) concluded with the tax authorities.

News & Analysis

Luxembourg: New Bill of Law on simplification and modernization of certain procedural aspects in tax matters

13 April 2023 by Baker McKenzie - Luxembourg

On 28 March 2023, the government presented Bill of Law 8186 ("Bill"), which provides a set of amendments to the General Tax Law (Abgabenordnung, AO) dated 22 May 1931 and introduces new procedural aspects applicable to taxpayers.[1] The Bill also introduces new bilateral and multilateral advance pricing agreement procedures, together with the possibility to issue, withdraw or amend a tax assessment further to a mutual agreement procedure (MAP) or an arbitration decision. Lastly, the Bill proposes a transfer pricing (TP) documentation requirement for transactions between associated enterprises, while further details regarding the scope, exact content and magnitude will be unveiled soon in a coming grand ducal decree.

News & Analysis

New EU directive aims to decrease the pay gap through transparency

13 April 2023 by KPMG - Luxembourg

New EU directive aims to decrease the pay gap through transparency

News & Analysis

ELTIF 2.0 – a new era of long-term investments is about to start

21 March 2023 by Arendt & Medernach - Luxembourg

WITH PUBLICATION OF THE REGULATION AMENDING THE ELTIF REGULATION, A NEW ERA OF LONG-TERM INVESTMENTS, ELTIF 2.0, IS ABOUT TO START. THE REVISED ELTIF REGIME WILL APPLY FROM 10 JANUARY 2024. HOWEVER, ELTIF MANAGERS MAY OPT INTO THE NEW REGIME FROM 9 APRIL 2023 UNDER CERTAIN CONDITIONS.

News & Analysis

Luxembourg: Recent legal developments in Real Estate

16 March 2023 by DSM Avocats à la Cour - Luxembourg

The Luxembourg legislator and administration have brought several legislative changes impacting the real estate industry in Luxembourg, and further legal initiatives have been announced in draft bills. The Luxembourg Constitutional Court also issued an important decision.

News & Analysis

Deloitte - Africa Regional Women in Tax interview (i)

15 March 2023 by Gloria Boye-doku

Interview with Gloria Boye-Doku, Africa Tax & Legal Partner, Global Employer Services (Ghana), Deloitte Africa

News & Analysis

Ireland | Chambers 2023 Global Practice Guide on Investment Funds

08 March 2023 by Walkers - Ireland

Ireland | Chambers 2023 Global Practice Guide on Investment Funds

News & Analysis

Transfer Pricing in Peru

06 March 2023 by Carlos Vargas Alencastre - TPC Group - Peru

To be constantly updated with the changes related to Transfer Pricing is essential due to its importance for local and multinational groups according to the provisions of the Income Tax Law.