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Leopoldo Parada (Reader in Tax Law, King’s College London )
Moving On: The Case for Developing Nations to Leave the OECD Pillar One Behind
July 10, 2024

Reader in Tax Law, King’s College London (Autumn 2024) The past 30 June 2024 was anticipated to be a historic moment. Inclusive Framework’s (IF) countries, both developed and developing, were…

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Ricardo Garcia Anton (Assistant professor of International and European Tax Law at, Fiscal Institute Tilburg, Tilburg School of Economics and Management, Tilburg University.)
Tax Exceptionalism – Should Tax law converge/diverge with other legal disciplines?
July 08, 2024

Ricardo García Antón* The rapid developments in international taxation in the aftermath of the latest financial crisis (2010s), i.e. the fight against tax evasion and tax avoidance, the Pillars’ work…

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Giorgio Beretta (Amsterdam Centre for Tax Law (ACTL) of the University of Amsterdam; Lund University)
The Contents of Highlights & Insights on European Taxation, Issue 6, 2024
July 03, 2024

Highlights & Insights on European Taxation Please find below a selection of articles published this month (June 2024) in Highlights & Insights on European Taxation, plus one freely accessible…

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William Byrnes (Texas A&M University Law)
How May the Supreme Court Overturning of Chevron Deference Impact International Tax Regulations and Pending Cases?
July 01, 2024

On Friday, the U.S. Supreme Court issued its expected overruling of the Chevron doctrine, which has been relied upon in 70 past Supreme Court decisions and approximately 17,000 in the Appellate and…

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William Byrnes (Texas A&M University Law)
If the Moores Raised the Constitutionality of Subpart F, Would The Supreme Court Have Decided Differently?
June 21, 2024

At the end of 2017, Congress passed a once-off Mandatory Repatriation Tax (the “MRT”) of 8 to 15.5 percent of the undistributed total accumulated income of American-controlled foreign corporations…

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Jakob Bundgaard (CORIT advisory)
Global Tax Policy Trends – From Coordination to Conflict?
June 18, 2024

Introduction  Throughout my professional life, I have worked with international tax law. Consequently, I have witnessed various trends and tendencies for more than a quarter of a century. The period…

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Stefanie Geringer (University of Vienna)
An EU-Based Solution to Incongruence between Taxation and Representation within the Union?
June 17, 2024

Incongruence between Taxation and Representation in the 21st Century from a European Union (EU) Perspective The phenomenon of increasing mobility of individual taxpayers is manifesting itself all…

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Maarten de Wilde (Erasmus School of Law, Erasmus University Rotterdam, PwC Rotterdam)
On Pillar 2 Controversy and Trust
June 11, 2024

Issues involving controversy surrounding the operation of the newly devised Pillar Two rules in company taxation seem to have moved strikingly up business agendas and political agendas recently.…

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Giorgio Beretta (Amsterdam Centre for Tax Law (ACTL) of the University of Amsterdam; Lund University)
The Contents of Highlights & Insights on European Taxation, Issue 5, 2024
June 05, 2024

Highlights & Insights on European Taxation Please find below a selection of articles published this month (May 2024) in Highlights & Insights on European Taxation, plus one freely accessible…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
Beneficial ownership and abuse – even more
May 31, 2024

The recent English Court of Appeal decision in Hargreaves Property Holdings Ltd v HMRC [2024] EWCA Civ 365 http://www.bailii.org/ew/cases/EWCA/Civ/2024/365.html  has again examined the meaning of…

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