In this issue of the Finance Dublin Irish Tax Monitor the Roundtable panel analyse a recent judgement from the Court of Justice of the European Union that looks set to weaken the EU Commission’s case in the Apple Case; changes around Section 110 companies, some of which have created uncertainties, are also analysed. Key cases from the Tax Appeal Commissions also features as do updates to the Transfer Pricing guidance, capital acquisition tax, digitalisation and VAT and BEPs.