The Amendment of Transfer Pricing Audit Rules was published on November 13, 2017, by the Taiwan Ministry of Finance.
On November 17, 2017, updates to the information to be included on transfer pricing documentation were published.
On October 10, 2017, clarification regarding Peru’s tax amnesty regime was published.
China has abolished an existing foreign direct investment law that regulates the establishment of representative offices of foreign firms doing business in China.
The Federal Revenue Service clarified that payments made by a resident company to its foreign headquarters or foreign related company for the purpose of reimbursement of remuneration.
The French tax authorities have announced that the deadline for payment of corporate income tax has been extended to May 15.
On January 14, 2017, the Ministry of Finance, the Ministry of Education and other authorities have jointly published a notice...
Belgium has adopted a law requiring companies to share information on their ultimate beneficial owners.
The IRS and the Department of the Treasury have released final regulations regarding US disregarded entities.
In order to further align Hong Kong’s corporate winding-up process with recent international developments.
On October 19, 2016, the UK Tax Authority updated its guidance on R&D claims.
Ireland has modified a statement of practice on the payment of royalties under a license agreement.