Mondaq All Regions: Tax > Withholding Tax
McMillan LLP
On May 31, 2019, as one of the main areas of focus of the ongoing work on the Base Erosion and Profit Shifting ("BEPS") project, Members of the OECD/G20 Inclusive Framework on BEPS ("Framework")
O'Sullivan Estate Lawyers LLP
A Q&A guide to private client law in Canada. The Q&A gives a high level overview of tax; tax residence; inheritance tax; buying property; wills and estate management; succession regimes; intestacy; trusts; co-ownership; ...
Davies Ward Phillips & Vineberg
Canada is expected to notify the OECD within the next few months that it has ratified the MLI.
Gowling WLG
Since 2012, there have been unprecedented developments in Canada and globally in the area of international tax. The sheer volume and complexity
Davies Ward Phillips & Vineberg
Budget 2019 is the last federal budget of the current Liberal government before the upcoming federal election in October 2019.
Crowe Soberman LLP
The 2019 Federal Budget proposed amendments to broaden the scope of the Foreign Affiliate Dumping Rules (commonly referred to as "FAD" rules).
Dezan Shira & Associates
Questa strategia fornisce maggiore flessibilità e una maggiore protezione alla loro struttura aziendale.
Dezan Shira & Associates
For multinational corporations operating in China, repatriating cash from their subsidiaries has always been an important but challenging issue.
Dezan Shira & Associates
Many companies looking at the Chinese market choose to establish a holding company or special purpose vehicle (SPV) to hold their Chinese investments.
G. Vrikis & Associates LLC
The DTT is generally based on the OECD Model Double Tax Convention framework.
Elias Neocleous & Co LLC
There has been a recent upsurge in interest from Africans wanting to do business in Cyprus and, in particular, from South African citizens through diverse opportunities of investment.
Nishith Desai Associates
India's traditional policy of non-alignment and the Swiss policy of neutrality, coupled with shared values of democracy and rule of law have forged close ties between the two countries.
Arnone & Sicomo
Tax evasion in Italy: read here all news about criminal tax offences and their sanctions.
Ogier
On 8 August 2019, the Luxembourg Government submitted a draft law to the Parliament (the Draft Law) to implement the Council Directive (EU)
Tabacks
The Cape Town Tax Court recently upheld the application of the so-called ‘most favoured nation clause' contained within the double tax agreement between South Africa and the Netherlands ("the SA-NL DTA").
ENSafrica
On 12 June 2019, the Tax Court of South Africa delivered its judgment in ABC (Pty) Ltd v C:SARS (case no. 14287).
Baer & Karrer
The establishment and operation of Alternative Investment Funds ("AIFs") (and their managers) is governed by the Federal Act on Collective Investment Schemes of 23 June 2006
Baer & Karrer
In a referendum held on May 19 2019, the Federal Act on Tax Reform and AHV Financing (TRAF) was adopted by the Swiss people and the cantons.
Ruchelman PLLC
Prior to 2018, widely-used tax plans of U.S.-based multinational groups were designed to achieve three basic goals in connection with European operations:
Davies Ward Phillips & Vineberg
The effective date of the new rules is generally 60 days after the proposed regulations are finalized, although certain aspects of the new rules may be relied upon immediately.
Latest Video
Most Popular Recent Articles
LexCounsel Law Offices
One of the most common questions in an international transaction is the tax liability of the non-resident on the income proposed to be generated in India on provision of managerial, technical or consultancy services in India.
Banwo & Ighodalo
Nigeria is obliged to pay 2% of its assessable profit as Education Tax.
DNV & Co
With globalisation and fast expanding businesses beyond Indian territory, Indian Companies avail various kinds of services from Companies and professionals outside India and incur expenses like Royalty, ...
Khaitan & Co
The tax rates and income slabs under the Income-tax Act, 1961 (IT Act) remain the same, other than the following proposed changes
Andersen Tax & Legal Egypt
This is to be applied starting from 15th of August 2018.
LexCounsel Law Offices
Taxation is one of the most fundamental aspect of cross border transactions and generally attracts a lot of attention while negotiating and closing international deals.
Carey
Chile has 32 tax treaties. Additionally, there are two tax treaties subscribed to by Chile which have not yet entered into force.
Gibson, Dunn & Crutcher
Tax authorities around the world are trying to understand the fundamental drivers of the digital transformation of the global economy, with the
TMF Group
Foreign intermediate holding companies need to assess the impact of recently announced widening of the Dutch anti-abuse tax legislation in response to landmark ECJ rulings.
TMF Group
With complex legislation surrounding tax matters for companies in Chile, it is imperative to understand the laws so your business remains compliant.
Article Search Using Filters
Related Topics
Mondaq Advice Centre (MACs)
Popular Authors
Popular Contributors
Up-coming Events Search
Tools
Font Size:
Translation
Channels
Mondaq on Twitter