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Tax
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Australia
TMF Group
Businesses will be able to take advantage of measures including asset write-offs, loss carry backs and hiring credits.
Barbados
Invest Barbados
Barbados Challenges the EU's Decision to list the Island as a Non-cooperative Jurisdiction for Tax Purposes
Brazil
Tauil & Chequer
As a result of the impacts of COVID-19, extraordinary measures have been adopted by the federal, state and municipal governments in relation to tax collection, compliance with ancillary tax obligations and customs procedure simplification.
Tauil & Chequer
Extends, for one more year beyond the original one-year extension, the term for exemption and suspension of taxes due based on drawback special customs regimes that were supposed to end in 2020.
Tauil & Chequer
Objeto: Trata-se de Recurso Extraordinário em que se discute a constitucionalidade das Contribuições ao SEBRAE, APEX e ABDI após a Emenda Constitucional nº 33/2001.
Canada
Miller Thomson LLP
Un crédit d'impôt remboursable temporaire, pouvant atteindre un maximum de 175 000 $ par année d'imposition, est instauré pour les sociétés propriétaires d'un établissement hôtelier...
Rotfleisch & Samulovitch P.C.
Under Part XVI of the Business Corporations Act, a winding-up involves a corporation's assets being sold or distributed, its debts and liabilities being settled and its shares being cancelled.
Rotfleisch & Samulovitch P.C.
The CRA assessed the applicants on the basis that they received a taxable benefit when they were issued controlling shares in each ChildCo.
Rotfleisch & Samulovitch P.C.
Millions of Canadians have been impacted by the ongoing COVID-19 pandemic.
Rotfleisch & Samulovitch P.C.
The applicants, Mr. Mandel and Ms. Pike, were assessed by the Canada Revenue Agency as having received shareholder benefits under subsection 15(1) of the Income Tax Act amounting to approximately $15 million each in 2019.
Fogler, Rubinoff LLP
The Canada Revenue Agency has several collection powers under the Income Tax Act ("ITA") and the Excise Tax Act to ensure the remittance of taxes.
Aird & Berlis LLP
At this difficult time, with all of us isolated for so long and the constant threat of contracting COVID-19 ever present, the members of the Aird & Berlis Estates...
Cayman Islands
Maples Group
Further to our previous update, the Guidance on Economic Substance for Geographically Mobile Activities (the "Guidance") supporting The International Tax Co-operation...
Conyers
We are pleased to report that the European Union (EU) announced on 6 October 2020 during a meeting of its Economic and Financial Affairs Council (ECOFIN) that it considers the Cayman...
Cyprus
Areti Charidemou & Associates LLC
We would like to inform you that in accordance with a Decree issued on 20 October 2020, the following deadlines are extended to 30 November 2020:
Ernst & Young
Mandatory disclosure rules are not something new for European Member States ("EU MS").
Ernst & Young
For the tax years up to 2019 (inclusive), the above obligation does not apply for Individuals with gross annual income below the tax free threshold of €19.500.
Ernst & Young
In early September the Cypriot Tax Department issued an announcement informing the public that the bilateral Competent Authority Agreement, "Country-by-Country reporting", between Cyprus and the US is still under negotiation.
I. Christodoulou & Partners LLC
The private aircraft leasing scheme aims in offering tax incentives as well as VAT savings to proposed investors (the "Scheme").
Perfect Circle Trust
The Republic of Cyprus and Russia had entered into a DTT in 1998 in a joint effort to avoid the double taxing of income and capital generated in Cyprus, in order to promote the economic cooperation between the two countries.
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