Mondaq Middle East & Africa: Tax
STA Law Firm
Egypt is the most highly populated nation in the Middle East. With over 90 million individuals living within, it beats out the next closest
Andersen Tax & Legal Egypt
Egyptian Tax Authority (ETA) has released recently its practical manual for Country by Country Reporting (CbCR) as outlined in Decree No. 221/2018 and No. 547/2018 which amends the Egyptian Transfer Pricing guidelines.
Youssry Saleh & Partners
Transfer Pricing is that basis used by the Tax authority to determine the price to be used when determining the taxable profit among non-related parties,
Andersen Tax & Legal Egypt
Amendment to Provisions of the Real Estate Tax Law Promulgated by Law No. 196 of 2008 with the Issuance of Law No. 4 of 2019.
Andersen Tax & Legal Egypt
The above-mentioned letter has been issued to emphasize on the calculation of comprehensive medical insurance contribution ...
Pearl Cohen Zedek Latzer Baratz
early July, the Israeli Tax Authority (ITA) issued an update to Form 1385 - "Declaration of International Transaction."
CWalsh Law Offices
At the end of July 2013, the Knesset passed a budget containing significant changes to the property tax regime in Israel, particularly with regard to foreign residents (i.e. those who are not tax resident in Israel).
Pearl Cohen Zedek Latzer Baratz
The stake of foreign investment in Israeli high-tech reached 77% of total capital raised in 2018, and 30 new venture funds were born in 2018
Pearl Cohen Zedek Latzer Baratz
Israel's Finance Ministry and tax authority announced in the last week of April that they intend to introduce a digital sales tax (DST) that may reap some ILS 1 billion ($280 million) for the treasury.
Ziv Sharon & Co
Even with respect to trusts, preparations should be examined at the end of the benefits period.
Andersen Tax LP
On 20 August 2019, the Tax Appeal Tribunal (TAT or Tribunal) sitting at Enugu, held that a taxpayer may not be liable to taxes (including interest and penalties)
PwC Nigeria
The Tax Appeal Tribunal (TAT or Tribunal), in Polaris Bank v. Abia State Board of Internal Revenue has made pronouncements on a number of different tax matters including:
PwC Nigeria
The National Office for Technology Acquisition and Promotion ("NOTAP) was established by the NOTAP Act, Cap. N62 LFN 2004 to monitor the transfer of foreign technology into Nigeria.
Andersen Tax LP
The introduction of withholding tax (WHT) provisions in the Nigerian tax laws in 1977, imposed on taxpayers the obligation to deduct tax at source on payments for qualifying transactions.
AO2 Law
Following the recent ‘naming and shaming' of tax defaulters and their bankers by the Federal Inland Revenue Service (‘FIRS' or "the Service", used interchangeably)
ENSafrica
South Africa has transfer pricing legislation which generally applies to cross border transactions between connected persons
ENSafrica
On 29 July 2019, the Minister of Finance and Economic Planning presented the 2019 mid-year budget statement for the six months ending 31 December 2019 to Parliament.
ENSafrica
The provisions of section 8F of the Income Tax Act, 58 of 1962 (the "Act") regulate "hybrid debt instruments".
ENSafrica
From time to time, listed companies unbundle shares to their shareholders.
ENSafrica
The world of offshore trusts is now more dynamic than ever.
SKP Business Consulting LLP
The FTA has notified conditions and procedure for grant of refund for business visitors in UAE to facilitate eligible foreign businesses/business visitors to file VAT refund claims for expenses
Grant Thornton
On 16th May 2018, Organization of Economic Development (‘OECD'), announced that the UAE has become a member of the Base Erosion Profit Shifting inclusive framework (‘BEPS IF').
Schluuter Graf & Partners
Transfer Pricing (TP) is a set of rules that govern intercompany transactions and how they are treated from a corporate income tax point of view.
Grant Thornton
The Federal Tax Authority (‘FTA') in the UAE has recently published a new Cabinet Decision related to penalties and fines to be imposed for non-compliance of Digital Tax Scheme.
Grant Thornton
This Cabinet Decision has come into effect from the 1st of May 2019.
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Benchmac & Ince
Nigeria is unarguably one of the largest economies in the Sub-Saharan Africa
Strachan Partners
Tax administration in Nigeria is vested in the three tiers of government.
Banwo & Ighodalo
Nigeria is obliged to pay 2% of its assessable profit as Education Tax.
Deloitte Nigeria
Federal Inland Revenue Service (FIRS) on Wednesday, 14 August 2019, issued a public notice informing taxpayers that commission and rebates earned by distributors and customers are subject
Banwo & Ighodalo
Given Nigeria's vast human and natural resources (which position her as a frontier market and potential investment haven) and against the background of the recent rebasing of her GDP (which resulted in her emergence as Africa's largest economy), ...
Andersen Tax LP
On 19 July 2019, the Organisation for Economic Cooperation and Development (OECD) released its report on harmful tax practices across various jurisdictions. The report indicates that Mauritius
BSA Ahmad Bin Hezeem & Associates LLP
If you are operating an onshore or offshore entity in a "no or only nominal tax jurisdiction" (referred to hereinafter as a "noon"), which amongst others, holds shares or licenses
Andersen Tax & Legal Egypt
The below document will provide a legal analysis on the oil and gas sector in Egypt.
PwC Nigeria
The FIRS has issued a Public Notice on the deduction of withholding tax and VAT on compensation paid to agents, dealers, distributors and retailers by principal companies
ENSafrica
The transfer pricing regulations gazetted on 21 December 2018 became effective on 1 July 2019.
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