Changes to business property relief: coping with cuts
The proposed changes to business property relief have so far sent only ripples through the business world.
The proposed changes to business property relief have so far sent only ripples through the business world.
Real-time reporting and e-invoicing requirements have been part of the changing regulatory landscape globally for many years, most notably with regards to VAT in Latin America.
A two-pillar corporate tax reform plan was agreed between OECD members in October 2021.
This time last year, I wrote in Tax Adviser that 2024 would be a challenging year for tax and finance directors with one of the key themes being unce
The non-dom regime will undergo a fundamental reform starting on 6 April 2025.
Imagine a world where all your meals are cooked for you, your home is cleaned each week, you visit dozens of countries a year and you may also have no liability to income tax.
A fundamental tenet of regulated emission trading schemes is that some businesses can reduce emissions at a lower cost than others, and the atmosphere is indifferent to the source of emiss
Work continues on taking forward Pillar 2 – the 15% minimum corporate tax agreed by over 135jurisdictions as part of the OECD/G20 Inclusive Framework.
The repetitious nature of certain referrals to the Court of Justice of the European Union is perhaps a fact of life.
Since 2016, we have seen digital services taxes introduced around the world as a new instrument to tax digital activities.