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Mariette Cruywagen (Partner/Director, Infinite Tax)
Indirect Tax across Africa: Can your business systems handle a VAT rate error
April 17, 2018

International VAT Principles Multi-Stage Tax Value-Added Tax (VAT) is designed to collect tax through a staged process. Each business in the supply chain takes part in the process of controlling and…

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Marta Villar Ezcurra (CEU San Pablo University)
Who is leading the control of EU jurisdiction? The Achmea BV case and its impact on taxes and investments, e.g. in Spain
March 28, 2018

On 6 March 2018, the CJEU has issue its judgment on the case Achmea BV (C-284/16 here), that can impact many areas of the EU law, including tax matters. The Court states that “Articles 267 and 344…

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Frederik Boulogne (Lubbers, Boer & Douma; VU University Amsterdam)
Implications of the CJEU’s Achmea decision (C-284/16) on tax treaty arbitration
March 26, 2018

On 6 March 2018 the Grand Chamber of the CJEU ruled in the Achmea decision (C-284/16) that the bilateral investment treaty (BIT) between The Netherlands and the Slovak Republic violated EU law…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Exchange of Information: bumps in the road
March 21, 2018

Increased focus on taxation of cross-border situations involving both individuals and companies is one of the key features of the post-BEPS international tax environment. One central aspect of this…

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Alexander Haller (WTS Munich, Germany), Vikram Chand (Tax Policy Center of the University of Lausanne, Switzerland)
Physical cash pooling in a negative interest rate environment
March 19, 2018

Introduction The financial crisis had made multinational enterprises (MNE) look inward for funding options, as external sources of capital were not readily available. Among various intra group-…

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Johannes Becker, Joachim Englisch (University of Muenster)
EU Digital Services Tax: A Populist and Flawed Proposal
March 16, 2018

On 21 March, the European Commission will publish a proposal for a two-fold strategy to reform the taxation of digital companies like Google and Facebook. The most recent draft of the proposal that…

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Antonio Barba de Alba (Partner Cuatrecasas Madrid)
Landmark Supreme Court case: state’s civil liability for discrimination against third-country residents in inheritance taxation
March 15, 2018

The Spanish Supreme Court recently issued (February 19, Spanish version here) a long awaited judgment confirming that the Spanish inheritance tax legal framework breaches the free movement of capital…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Multilateral or bilateral Implementation of BEPS Treaty-related measures? Swiss-UK and UK-Uzbekistan Protocol show the way
February 21, 2018

Non-inclusion of the Swiss-United Kingdom income tax treaty in the list of Covered Tax Agreements of both the states on signing the BEPS MLI on 7 June 2017 surprised some observers. This evident gap…

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Shilpa Goel (Tax Lawyer)
Indian 2018 Budget: New Nexus to Tax Based on Virtual Presence
February 05, 2018

On February 1, 2018, Indian Finance Minister presented the country’s latest Budget, which contains an international tax proposal that may not send a positive message to foreign companies doing…

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Błażej Kuźniacki ( PwC Netherlands, Lazarski University and Singapore Management University)
Untangling the PPT’s burden of proof
January 22, 2018

At the current stage, it is difficult to predict a potential application of the principal purposes test (PPT) and its outcome since it has not entered into force in the 72 Signatories of the…

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