Today the OECD Secretariat published a proposal to advance international negotiations to ensure large and highly profitable Multinational Enterprises, including digital companies, pay tax wherever…
The Tax Journal
Wednesday, 9 October 201914:00 – 15:00 (CEST)With a number of important recent and upcoming developments in the OECD’s international tax work, experts from…
Zimbabwe Report from Richard Rukundo, Associate, IBFD High Court annuls intermediated money transfer tax law On 18 September 2019, the High court of Zimbabwe scrapped…
Karin Steenkamp and others v Edcon Limited, decided by Constitutional Court: This was a labour law matter where the Labour Appeal Court refused the applicants…
Jonathan Schwarz (Temple Tax Chambers; King’s College London)/September 27, 2019 While earthlings are grappling with taxation in a digitalised world, a new and important frontier has…
Jérôme Monsenego (Stockholm University)/September 28, 2019 The General Court of the European Union has issued two awaited rulings in the Starbucks[1] and Fiat[2] cases. The length and the depth of…
By Slaughter and May The European Court ruled yesterday that the EU Commission had not been able to demonstrate that the advance pricing agreement between…
13 September 2019 Jean Du Toit, Senior Attorney at Tax Consulting SA The Supreme Court of Appeal (SCA) delivered a judgment on 6 September 2019…
The IFA Congress 2019, held 8-12 September in London, brought together leading international tax and transfer pricing experts from around the world. As a part…
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