Mondaq Europe: Tax > Tax Authorities
Elias Neocleous & Co LLC
Apart from implementation of EU directives, amendments to the Cyprus tax lasw are generally infrequent. This means that taxpayers can undertake transactions ...
Deloitte Cyprus
Welcome to our 5 minute tax update broadcasted monthly. The aim of our tax webcasts is to provide a brief summary of local and international tax events impacting Cyprus.
Ebl Miller Rosenfalck
A guide for overseas businesses wishing to take their business to Denmark.
Charles Russell Speechlys
Having been on the grey list of tax havens for almost two years, Switzerland has finally been removed from the said list.
Kinanis LLC
The Court's judgement in the Danish Beneficial Ownership cases will definitely bring innovations in international taxation.
Mayer Brown
After the failed attempt of the Marc Jacob case (Conseil d'Etat, 31 May 2016, No. 393881, Jacob), the decision of the French Administrative Supreme Court dated 16 September 2019
Maples Group
The annual Irish Budget provides a platform for the Irish Minister for Finance to announce tax changes and also to take stock of Ireland's economy and strategy for future growth.
Dentons
The Italian Tax Revenue Agency has recently refocused on several aspects of the tax debt restructuring process, including amending, in some cases, what was stated in Circular no. 16 of July 23, 2018.
Altenburger Ltd legal + tax
Il 6 agosto 2019, l'Amministrazione Federale delle Contribuzioni ("AFC") ha pubblicato sul Foglio federale una richiesta di informazioni pervenuta dalle autorità fiscali italiane nel dicembre ...
TMF Group
MF Group head of accounting and tax Emine Constantin joins the Value Added Talk podcast to discuss how tax authorities are embracing new technologies..
Ana Bruno & Associados Sociedade de Advogados SPRL
A nova tabela, que passa a adoptar a Classificação Portuguesa de Profissões (CPP), implica uma maior abrangência dos benefícios do regime RNH.
Kinanis LLC
Beneficial Ownership Concept New Interpretation From The Russian Federal Tax Service.
Baer & Karrer
What is the relevant legislation relating to tax administration and controversies? Other than legislation, are there other binding rules for taxpayers and the tax authority
Prager Dreifuss
Originally, the Protocol was negotiated and signed by Switzerland and the USA on 23 September 2009 in order to revise their 1996 DTA.
BASEAK
There is no doubt that both citizens and companies have significant benefit from the digital economy. On the other hand, it is an evitable fact that it creates an open challenge for the tax authorities.
Kilinc Law & Consulting
2 Ekim 2019 tarihli ve 30906 sayılı Resmî Gazete ile 1594 sayılı Cumhurbaşkanı Kararı yayımlanmış
Withers LLP
HMRC has entered into a programme of issuing what are called ‘nudge letters' to UK taxpayers. These explain that HMRC is aware that the individual...
Global Advertising Lawyers Alliance (GALA)
And a lot of those tech giants happen to be US-based.
Mayer Brown
On October 9, 2019, the OECD secretariat published a high-level proposal for the allocation of profit and the new nexus rule, the "Pillar One" of the Programme of Work to develop a consensus solution to the tax challenges ...
TMF Group
Get the lowdown on the key findings of the Global Business Complexity Index Accounting and Tax Report and how they affect tax regulations and processes globally.
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Prager Dreifuss
As part of the IFA Congress 2019 held in London, the authors discuss BEPS Action 4 (interest deductibility) and its implementation in Switzerland. Interest limitation rules, as the ones proposed
TMF Group
Y existen buenas razones para creer que continuará evolucionando.
Mayer Brown
After the failed attempt of the Marc Jacob case (Conseil d'Etat, 31 May 2016, No. 393881, Jacob), the decision of the French Administrative Supreme Court dated 16 September 2019
Baer & Karrer
Von der Gewinn- und Kapital- steuerpflicht und indirekt von der Erbschafts- und Schenkungs- steuerpflicht für Zuwendungen werden juristische Personen
Dixcart
During 2017 the Italian Government introduced a new tax regime: The Resident Non-Domiciled Tax Regime (also known as the "Flat Tax Regime"), with the aim of attracting high net worth individuals who want to relocate to Italy.
Charles Russell Speechlys
The two states had signed the protocol on 23 September 2009 in order to revise their 1996 DTA. Ratified in 2010 by the Federal Assembly
Ebl Miller Rosenfalck
A guide for overseas businesses wishing to take their business to Denmark.
WH Partners
On 24th September 2019 Starbucks won their appeal against the European Commission's decision of 2015, over a €30 million tax fine issued by the Commission. The General Court of the European Court ...
Elias Neocleous & Co LLC
Last week saw Cyprus add The Netherlands to the long list of countries with which it has signed double taxation agreements.
Loyens & Loeff
The EUGC appears to accept this would be the case even if there is no arm's length principle clearly laid down in domestic law.
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