FP News

The DAC6 Intermediary: multiplying compliance-costs and creating loopholes – Martijn Weijers (Pelinck Nijssen Weijers)

In June 2017, the European Commission published its proposal on transparency rules for tax planningTax planning is the process of organising and structuring one’s financial affairs in a manner that legally minimises tax liabilities while ensuring compliance with relevant tax laws. The primary objective of tax planning is to reduce the amount of taxes paid, […]

The DAC6 Intermediary: multiplying compliance-costs and creating loopholes – Martijn Weijers (Pelinck Nijssen Weijers) Read More »

OECD – Release of Revenue Statistics in Africa 2019

The average tax-to-GDP ratio for the 26 countries participating in the new edition of Revenue Statistics in Africa was unchanged at 17.2{780f53c297e2c008074d23b865a0ce0b35a4f08852d8e1e49466a5a902c4e44e} for the third consecutive year in 2017. This was lower than the averages for Latin America and the Caribbean (LAC) at 22.8{780f53c297e2c008074d23b865a0ce0b35a4f08852d8e1e49466a5a902c4e44e} and for the OECDThe Organisation for Economic Co-operation and Development (OECD) is an international

OECD – Release of Revenue Statistics in Africa 2019 Read More »

Irish Corporation Tax Revenue Touches Euros 10.4 Billion

A new paper published by Ireland’s Department of Finance reveals that corporation taxCorporate Tax refers to the tax imposed by governments on the income or capital of corporations. Corporations, considered separate legal entities, are taxed on their profits, meaning the income generated from their operational activities, investments, and other financial undertakings. This tax is generally

Irish Corporation Tax Revenue Touches Euros 10.4 Billion Read More »

TAX PLANNING AS PART OF A TAX RISK MANAGEMENT PROCESS Makes SSRN Top 10

Dear Dr Daniel N. Erasmus: Your paper, “TAX PLANNINGTax planning is the process of organising and structuring one’s financial affairs in a manner that legally minimises tax liabilities while ensuring compliance with relevant tax laws. The primary objective of tax planning is to reduce the amount of taxes paid, optimise the use of available tax

TAX PLANNING AS PART OF A TAX RISK MANAGEMENT PROCESS Makes SSRN Top 10 Read More »

US Tax Court resolves Eaton’s transfer pricing dispute – By Elisa Kaminsky, BaseFirma, Miami

The US Tax Court issued a written opinion on October 28 regarding Eaton’s transfer pricingTransfer pricing is a fundamental concept in international taxation that defines the pricing methods and rules applied to transactions between related entities within a multinational enterprise (MNE). In the context of tax regulations, it governs how prices for goods, services, or

US Tax Court resolves Eaton’s transfer pricing dispute – By Elisa Kaminsky, BaseFirma, Miami Read More »

Poland’s new cooperative compliance program for large taxpayers – By Dr. Monika Laskowska, Center of Tax Analyses and Studies, Warsaw School of Economics

On 6 November, Poland’s President signed a law implementing a new cooperative compliance program in Poland for large corporate taxpayers (also referred to as horizontal auditing). This is a new tax institution in Poland that introduces collaboration between taxpayers and the tax authorities. The program is available to taxpayers with tax turnover of over 50

Poland’s new cooperative compliance program for large taxpayers – By Dr. Monika Laskowska, Center of Tax Analyses and Studies, Warsaw School of Economics Read More »

The United Nations’ effort to shape global transfer pricing policy – By George L. Salis, Principal Economist & Tax Policy Advisor, Vertex, Inc., King of Prussia, Pennsylvania

The 19th Session of the United Nations Committee of Experts on International Cooperation in Tax Matters was held October 15-18 in Geneva. This session, like the prior one, mainly focused on the role that taxation is playing in raising domestic resources to finance sustainable development goals, as recently set forth in the Addis Ababa Action

The United Nations’ effort to shape global transfer pricing policy – By George L. Salis, Principal Economist & Tax Policy Advisor, Vertex, Inc., King of Prussia, Pennsylvania Read More »

OECD releases 2500+ pages of public comments to its pillar one “unified approach” for taxing multinationals – By Julie Martin, MNE Tax

The OECDThe Organisation for Economic Co-operation and Development (OECD) is an international organisation comprising 38 member countries, established to foster economic growth, trade, and development on a global scale. Founded in 1961, the OECD provides a forum for governments to collaborate, share policy experiences, and develop solutions to common economic challenges. The OECD’s core mission

OECD releases 2500+ pages of public comments to its pillar one “unified approach” for taxing multinationals – By Julie Martin, MNE Tax Read More »

China simplifies procedure for claiming tax treaty benefits – By Agnes Lo, Lingnan University, Hong Kong & Raymond Wong, Associate Dean, City University of Hong Kong

China’s State Taxation Administration on 14 October published “Administrative Measures for Non-resident Taxpayers Claiming Tax TreatyA Double Taxation Agreement (DTA), also known as a Double Taxation Treaty (or a Tax Treaty), is an international tax treaty between two or more countries that aims to prevent individuals or businesses from being taxed twice on the same

China simplifies procedure for claiming tax treaty benefits – By Agnes Lo, Lingnan University, Hong Kong & Raymond Wong, Associate Dean, City University of Hong Kong Read More »

OECD seeks feedback on the effectiveness of 13 countries’ cross-border tax dispute resolution processes – By Julie Martin, MNE Tax

The OECD today requested input from taxpayers to assist in an assessment of the timeliness and efficiency of the cross-border tax disputeTax Disputes arise when there is a disagreement between taxpayers and tax authorities regarding the interpretation or application of tax laws. These disputes may concern various issues such as the accuracy of a tax

OECD seeks feedback on the effectiveness of 13 countries’ cross-border tax dispute resolution processes – By Julie Martin, MNE Tax Read More »