E-invoicing and real-time reporting: an opportunity-shaped burden
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.
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.
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.