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…
We are happy to inform you that the latest issue of the journal is now available and includes the following contributions:
Andrés Báez Moreno & Yariv Brauner, Pillar One and Alchemy: What Can We…
We are happy to inform you that the latest issue of the journal is now available and includes the following contributions:
Tsilly Dagan, GLoBE: The Potential Costs of Cooperation
This article argues…
Some OECD officials have reportedly noted that countries should consider changing or eliminating potentially duplicative anti-avoidance measures, such as CFC legislation when they implement the 15%…
We are happy to inform you that the latest issue of the journal is now available and includes the following contributions:
Reuven Avi-Yonah, Do Intangibles Fit BEFIT?
This article argues that the…
Corporate Taxation (CT)
Federal Decree No. 47 of 2022 (UAE CT Law)
Federal Tax Authority (FTA)
Ministry of Finance (MoF)
OECD MC Convention (OECD MC)
Permanent Establishment (PE)
United Arab Emirates…
Corporate Taxation (CT)
Federal Decree No. 47 of 2022 (UAE CT Law)
Federal Tax Authority (FTA)
Ministry of Finance (MoF)
OECD MC Convention (OECD MC)
Permanent Establishment (PE)
United Arab Emirates…
We are happy to inform you that the latest issue of the journal is now available and includes the following contributions:
Stefan Greil, Michael Overesch, Anna Rohlfing-Bastian, Ulrich Schreiber &…
On 28 September 2022, the Organisation for Economic Cooperation and Development (OECD) published its Bilateral Advance Pricing Arrangement Manual (BAPAM).[1] The BAPAM aims to help streamline…