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Tax
Corporate Tax
Australia
Holding Redlich
There is now an onus on companies to be more transparent about their corporate structures.
Alvarez & Marsal
In Minerva Financial Group Pty Ltd v Commissioner of Taxation [2024] FCAFC 28[1], the Full Federal Court reversed the Federal Court's decision in finding...
Alvarez & Marsal
Corporate carve-outs are poised to dominate the Australian private equity market in 2024, presenting significant opportunities for investors.
Avant Law
To avoid an unnecessary payroll tax exposure, ensure that the relationship between the doctor and the practice is clear.
Alvarez & Marsal
The Australian Taxation Office (ATO) issued Taxation Determination TD 2024/1 on 13 March 2024, which provides guidance on how certain concepts in the hybrid mismatch...
Avant Law
It is apparent that State Revenue Offices are reviewing the way that practices engage with health practitioners.
Belgium
Loyens & Loeff
For assessment year 2025 (income year 2024), the surcharge is calculated at a rate of 9% (previously 6.75%), resulting in an increase of the corporate income tax rate from 25% to 27.25%...
Canada
Miller Thomson LLP
Par value shares are often considered one of the last vestiges of the old Canadian corporate legislation. The current federal corporate legislation, and the majority of provincial...
Cyprus
Michael Kyprianou Law Firm
In this article, Savvas Savvides answers some frequently asked questions about the issue of tax residence in Cyprus.
Egypt
Andersen in Egypt
As April ushers in, it's a crucial time for businesses to address their tax obligations.
Andersen in Egypt
The determination of corporate income and its subsequent taxation, known as corporate tax in Egypt, is a critical aspect of financial management for businesses operating within the country.
Gibraltar
The Sovereign Group
Whether you represent a company looking for a tax efficient investment location or an international business seeking a strategic UK presence, Gibraltar offers a range of features and benefits for establishing a corporate entity.
Ireland
Matheson
On 12 March 2024, the Tax Appeals Commission ("TAC") issued a decision of Commissioner Clare O'Driscoll (47TAC2024Opens in new window) confirming that withholding tax ("WHT")...
Maples Group
The Finance (No.2) Act 2023 contained a number changes that aim to give clarity around areas including capital allowances and the calculation of profits for both lessors and lessees.
Isle of Man
Dixcart Group Limited
The Isle of Man is a leading jurisdiction for luxury asset holding vehicles and post the UK's departure from the Single Market, it is particularly well suited to enable client's planning...
Jersey
Appleby
Jersey has long embraced corporate re-domiciliation, setting a standard for flexibility and adaptability in the international business arena.
Luxembourg
ATOZ
On 25 March 2024, the Luxembourg Tax Administration ("LTA") published an FAQ aiming to clarify the application of the law of 22 December 2023...
Malta
The Sovereign Group
With a potential internal market of 450 million consumers, the European Union is one of the biggest markets in the world.
Camilleri Preziosi Advocates
Donald Vella, Kirsten Debono Huskinson and Gabriella Chircop have contributed, once again, the Malta Chapter to the Corporate Tax 2024 Global Practice Guide, published by Chambers and Partners.
Dixcart Group Limited
Malta, a sunny island nation in the Mediterranean, has been steadily growing its economy and establishing itself as an attractive destination for businesses, as well as being a wonderful place to live.
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