Showing 1411 - 1420 of 1521 for "United Arab Emirates" with applied filters
02 December 2022 by
Interview with Diana C Estrada, Partner, Tax and Legal, Deloitte Canada
02 December 2022 by
Interview with Cecilia Margarita Montano Hernandez, Indirect Tax Leader partner for S-LATAM, Deloitte Mexico
02 December 2022 by
Interview with Kirsten Gulotta, US Transaction Tax Leader, Deloitte Tax LLP
01 December 2022 by
Deloitte’s US Value Added Tax (VAT) practice currently has 84 indirect tax practitioners with backgrounds from around the world (North America, Latin America, Europe, Africa, and Asia). This team brings its distinctive local and global indirect tax experience to provide professional services to various US clients operating across a range of industry areas.
07 September 2022 by
Our most comprehensive edition yet with more rankings, firms, jurisdictions and profiles
04 August 2022 by
Following our most recent newsletter which put a spotlight on the shipping sector, here’s a round-up of the latest national and international developments.
13 July 2022 by
Refunds of stamp duty paid on non-residential property which is later developed for residential purposes will no longer be available for construction projects commencing after 31 December 2022. Construction can commence by clearing a site, laying foundations, earth-moving, drainage and demolition of existing structures, but must commence only following a valid commencement notice or 7-day notice to be eligible for a stamp duty refund. Thirty months are permitted for completion of construction, starting on the date the local authority acknowledges a valid commencement notice or 7-day notice, so the latest date for completion of a development under the scheme is 30 June 2025.
19 June 2022 by
New UK-Luxembourg double tax treaty signed on 7 June 2022
02 February 2022 by
With an eye on the constant evolution of the international tax environment, we’re summarizing the latest national and international developments relevant for the sector.
01 February 2022 by
In November 2020, the United States Tax Court (“USTC”) decided in favour of the Internal Revenue Service (“IRS”) against The Coca-Cola Company (“Coca-Cola”) on certain transfer pricing issues, resulting in an additional tax payment of more than USD 3.3 billion.