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Australia
Alvarez & Marsal
Please join us in recapping this virtual event where we presented a review of the latest tax developments in Australia including legislative updates on thin capitalisation and Pillar 2...
K&L Gates
Implementing these measures is a positive foundation for BTR - facilitating the delivery of BTR projects is critical to addressing some of the housing shortages in Australia.
Cooper Grace Ward
Discusses tax implications of family trusts and what constitutes an 'ordinary family or commercial dealing'.
Pointon Partners
The taxation consequences of delayed property settlements and the payment of CGT.
Corrs Chambers Westgarth
Discusses the main features of the proposed build-to-rent measures.
Alvarez & Marsal
The Australian Taxation Office released the new 2024 Reportable Tax Positions (RTP) Schedule last week and, as we indicated in our previous article here...
Alvarez & Marsal
On 20 March 2024, the Federal Court of Australia (FCA) found in favour of the taxpayer in Mylan Australia Holding Pty Ltd (MAHPL) v Commissioner of Taxation (Commissioner) (No 2) [2024] FCA 253.
China
Alvarez & Marsal
Changping District is one of the key districts of Beijing, the capital of China. The Health and Beauty industry is highly supported in this district with a wealth of incentives...
India
GABA & CO
In an important decision by the Hon'ble Madras High Court (‘HC'), in the case of Afortune Trading Research Lab LLP, 2024-VIL-175-MAD, wherein the Court held that convertible foreign exchange received
Acuity Law
Corporate transactions and their related intricacies have always been a subject of frequent discussions in the corporate world.
Acuity Law
The advent of the Digital economy has led to the introduction of various taxation issues. One such issue being creation of a virtual permanent establishment (PE) in a country...
Metalegal Advocates
The arm's length principle is the international standard for determining the taxability of profits resulting from transactions between related entities.
Acuity Law
Obligation (in the hands of telecom companies) to withhold taxes under Section 194H of the Income-tax Act, 1961 (IT Act) on discounts given to SIM card distributors has been a matter of long drawn dispute.
TeamLogic
Recently, Hon'ble Supreme Court of India (SC), in a case, Central GST v. Delhi International Airport Ltd. [2023] 152 taxmann.com 324, has held that service tax was not chargeable on User Development Fee...
S.S. Rana & Co. Advocates
The pandemic has altered consumer behavior, leading to a rise in the use of smartphones and other technological gadgets.
Atharv Advisors
Recently, in a significant ruling of Nestle SA, the Supreme Court of India had examined the interpretation of the Most Favoured Nation (MFN) clause in Indian treaties with OECD member countries.
Japan
Anderson Mori & Tomotsune
A legal guide to transaction practices that bridges economics and law.
Lao Peoples Democratic Republic
Tilleke & Gibbins
Laos has returned its value-added tax rate to 10% from the 7% rate that had been observed for the last two years. The new rate was specified in Ordinance No. 003/PDT, dated March 19, 2024...
Philippines
SyCip Salazar Hernandez & Gatmaitan
Republic Act No. 11976,is a new law that introduces key administrative tax reforms and amendments to several provisions of the National Internal Revenue Code of 1997, as amended to reduce tax compliance costs ...
SyCip Salazar Hernandez & Gatmaitan
The SyCipLaw's Top 10 Tax Issues and Practical Solutions (T.I.P.S.) for 2023 covers the following tax issues:
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