The OECD’s project was up for debate as Matt Williams spoke to ITR following BDO’s tax strategist survey, which uncovered ...
Romain Tiffon and Marie Bentley of ATOZ analyse how automation, data analytics, and generative AI are reshaping tax ...
In the first of a two-part series on capital v revenue in R&D, Jayne Stokes explores these key concepts and where UK ...
A quick glance at the ITR homepage can often tell a surprising amount about the state of the tax advisory market. This week, for example, has illustrated an unambiguous trend toward global expansion ...
Effective VAT rate reduced from 21.9% to 20%, following the abolition of the COVID‑19 levy; National health insurance levy (NHIL) and Ghana Education Trust Fund levy (GETFund) levies are now fully ...
As ITR data reveals that 2025 saw more than double the amount of private client hires than 2024, it seems firms are jostling for position Arsenal are Premier League champions. For those hoping this ...
Hany Elnaggar examines how the OECD’s global minimum tax is reshaping the GCC’s investment incentive landscape, shifting the region from rate-based competition toward substance-driven economic ...
Mithilesh Reddy of Steadfast Business Consulting outlines the key transfer pricing compliance risks, pillar two impacts, and structuring priorities for multinational enterprises under the UAE’s new ...
Kathya Capote Peimbert of Vertex examines how continuous transaction controls expose under‑addressed intercompany transaction risks, and outlines the approach multinationals should take to ensure ...
New reforms represent the most seismic shift in Canadian TP legislation since its enactment and a clear inflection point for MNEs, ITR has heard Recent landmark reforms to Canada’s transfer pricing ...
MNEs now face a shift from modelling to execution as the side‑by‑side deal forces tax teams to upgrade systems, harmonise data, and prevent costly pillar two mismatches The OECD’s ‘side‑by‑side’ ...
The landmark Indian Supreme Court judgment redefines GAAR, JAAR and treaty safeguards, rejects protections for indirect transfers and tightens conditions for Mauritius‑based investors claiming DTAA ...