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World Tax Advisor

A world of news with tax@hand.

World Tax Advisor presents tax news, commentary and insights from around the world, including a once-monthly tax treaty update, written by professionals of the member firms of Deloitte and focusing on analyses of cross-border tax developments that reflect the dynamic business environment faced by multinationals. This weekly newsletter links readers directly to top stories reported on Deloitte tax@hand, Deloitte’s global tax news and information resource for tax and business professionals.

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Recent newsletters appear below; for older Issue, please email a request to globaltaxpublications@deloitte.com.

28 June 2024


Featured Articles


  • OECD·Pillar Two: Further guidance published

Belgium


  • Investment deduction/credit rate changes for tax year 2025

Brazil


  • New monthly tax return introduced for disclosure of certain tax benefits

Colombia


  • DIAN updates tax information exchange status of tax haven jurisdictions

Germany


  • MOF publishes final guidance on Tax Haven Defence Act

Luxembourg


  • Chamber of Deputies publishes draught legislation to amend Pillar Two law

OECD


  • Reports released regarding tax cooperation, tax and development, countering tax crime

Spain


  • Draught bill on “complementary tax” submitted to parliament

United States


  • JCT releases federal tax system overview as in effect for 2024

Tax treaty round up


  • Recent developments with respect to the following tax treaties: Andorra-Iceland, Andorra-Lithuania, Armenia-Hong Kong SAR, Austria-Russia, Belarus-Czech Republic, Belarus-United Kingdom, Burkina Faso-France, Colombia-Luxembourg, Estonia-Qatar, France-Mali, France-Niger, France-Russia, Kyrgyzstan-Spain, Malaysia-Russia, Qatar-Tajikistan, Russia-United States and Saudi Arabia-Slovakia.

Archive



21 June 2024
OECD Pillar One: Additional Amount B guidance published

14 June 2024
Australian public country-by-country reporting bill introduced into parliament

7 June 2024
Barbados tax reform enacted, including Pillar Two legislation

24 May 2024
French Administrative Supreme Court rules final foreign branch losses may not be deducted

17 May 2024
Australian Federal Budget 2024-25: Tax developments for business


10 May 2024
Belgian parliament adopts new Pillar Two law

3 May 2024
OECD Pillar Two: Consolidated commentary published

26 April 2024
US proposed regulations on corporate stock buyback excise tax released

19 April 2024
Canada’s 2024 federal budget highlights

12 April 2024
Greek parliament passes law implementing Pillar Two rules

5 April 2024
Luxembourg Pillar Two law: Tax disclosure requirements

29 March 2024
Australian Pillar Two exposure draught legislation released

22 March 2024
Tax proposals in South Africa’s Budget 2024/25 include implementation of global minimum tax

15 March 2024
Corporate, high-wealth tax increases included in US fiscal year 2025 budget blueprint

8 March 2024
Key measures for foreign owned groups in UK Spring Budget 2024

1 March 2024
OECD Pillar One Amount B methodology optional for countries under newly released guidance

23 February 2024
OECD Pillar One: Report Issue on Amount B, simplification of transfer pricing rules

16 February 2024
Hong Kong SAR Inland Revenue Department publishes advance ruling and Update guidance on family Offices tax concession


9 February 2024
New Norwegian transfer pricing reporting requirements for corporate income tax returns

2 February 2024
Highlights of key Czech Republic tax changes effective for 2024, including tax rate changes

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