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  • The Brazilian government has discussed withdrawing some corporate tax incentives in a bid to stop a decline in tax receipts, but has postponed any decision on the matter indefinitely.
  • Taxpayers and advisers believe the discussion document on controlled foreign companies reflects a genuine attempt by the UK tax authorities to respond to their concerns.
  • The Mumbai High Court has ruled that that the country's tax authorities have the right to pursue Vodafone over its estimated $2 billion tax bill.
  • The Federal Court of Australia yesterday dismissed an appeal by RCI Pty, a wholly owned subsidiary of James Hardie Industries, against a claim by the Australian Tax Office (ATO) for A$459 million ($412 million) in unpaid taxes, interest and penalties.
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.
  • The dispute resolution panel at International Tax Review's Global Transfer Pricing Forum will focus on planning transfer pricing policies to avoid disputes, achieving settlements and using advanced pricing agreements (APAs).
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.
  • The Supreme Court of Germany (BGH) has partially reversed its position on the method and reference period used for determining cash compensation when a majority shareholder wants to squeeze-out and delist a company from the market.
  • The latest ruling in the long-running Indian Vodafone dispute will be issued on November 16, the Mumbai High Court has confirmed.
  • India's Authority for Advance Rulings has held that software transferred without the transfer of intellectual property, including modifications and updates, should not be treated as a royalty or technical service.
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