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From next year, you could face tax penalties under the rules of the ACA if you fail to offer healthcare coverage to your full-time employees and their dependents.
The law of Ukraine ?1166-VII introduces some notable changes to the Ukrainian tax code and other laws.
Australian businesses supplying electronic, telecoms and broadcasting services need to be aware of changes to EU VAT rules
These changes will apply in relation to a number of e-commerce services, to the extent the services are supplied to a non-VAT registered consumer...
Bitcoin is property, not currency, IRS says — notice leaves many open questions about convertible virtual currencies
The IRS has joined several other jurisdictions in publishing guidance regarding the income tax consequences of certain convertible virtual currency transactions.
The High Court awarded Littlewoods Retail compound interest on sums of overpaid VAT that had originally been reimbursed to it by HMRC with simple interest.
The Dutch Supreme Court has given its judgment in two landmark cases regarding the classification of hybrid finance instruments.
DLA Piper sets out a summary of key items of interest announced in the Budget relating to businesses, corporate and finance taxation and real-estate taxation.
Starting 1 January 2014, the tax treatment of debt restructuring modifies both Spain’s Corporate Income Tax Law and its stamp-duty regulations.
Singapore’s government has proposed enhanced incentives intended to support business transformation and upgrading, in particular for SMEs.
The anonymous nature of Bitcoin payments has caught the attention of tax authorities and other regulators, both in Australia and overseas.
The US Department of the Treasury and the Internal Revenue Service have released the ‘last substantial package of regulations’ necessary to implement FATCA.
Move towards a Chinese FATCA? Enhanced reporting requirements for PRC residents on foreign assets and transactions
The PRC State Council has released the revised reporting requirements for ‘PRC residents’ in relation to their cross-border receipts and payments.
New York’s highest court narrows class of statutory residents — good news for some out-of-state owners of residential property
The New York Court of Appeals has made an important ruling on what qualifies a person to be classed as a statutory resident of New York.
House Ways and Means Committee chairman Dave Camp this week introduced a draft of the most comprehensive reform of the Internal Revenue Code in decades.
The overlap of Australia’s new transfer pricing laws with the thin capitalisation rules is causing challenges and likely duplication of analysis for taxpayers.
An important message to all tax planners: the European Commission’s directorate-general for competition has declared war on ‘fiscal optimisation’.
The US Internal Revenue Service has released its Transfer Pricing Audit Roadmap, a 26-page outline of the two-year transfer pricing audit process.
Spain’s Basque Country extends participation exemption regime to capital gains on transfer of shares in Spanish companies
Spain’s autonomous Basque Country region has extended its participation exemption regime to capital gains derived from the transfer of shares in Spanish companies...
A Brazilian newspaper has reported that the Internal Revenue Service is preparing regulations to require foreign web-based companies to invoice locally and pay local taxes.
Two years on from DLA Piper’s report The Trust Deficit: Views from the Boardroom, the firm returns to the theme and asks how companies can foster a culture of trust in a post-crash economy.