Romania’s Comprehensive Approach to Implementing Pillar Two Minimum Taxation

Introduction On October 4, 2023, Romania took a significant step in tax reform by initiating a public consultation on a draft bill to adopt the OECD’s Pillar Two Model […]
Exploring the Nuances of the UK’s Pillar Two Legislation Amendments

In the ever-evolving landscape of global tax regulations, the United Kingdom is aiming to be at the forefront with its recent draft amendments to the Pillar Two legislation. These changes, […]
Tax Administration in the Digital Age: Navigating the Winds of Change

In the world of taxation, the image of tax administrations as sluggish, bureaucratic giants resistant to change is a common one. Often, they are compared to ocean liners, requiring ample […]
Egyptian Tax Authority Introduces Mandatory Transfer Pricing Reporting Requirements for Related Party Transactions

In a significant move to enhance tax transparency and compliance, the Egyptian Tax Authority (ETA) has recently introduced mandatory Transfer Pricing (TP) reporting obligations for related party transactions. This development […]
Poland’s Updated Transfer Pricing Reporting Regulations Take Effect

In a pivotal development for tax professionals, investors, and businesses in Poland, the Minister of Finance has implemented amendments to the decrees governing transfer pricing reporting related to corporate income […]
European Commission’s Proposal for Transfer Pricing Integration into EU Law: Implications for MNEs

On September 12, 2023, the European Commission unveiled a pioneering legislative proposal representing a substantial advancement in the field of international tax law. This proposal, a pivotal component of the […]