Risky Business – 10 things I hate about TP!
Article by: Regan van Rooy Movie buffs will hopefully get the joke intended in this week’s newsletter title, however, if […]
Risky Business – 10 things I hate about TP! Read Post »
Article by: Regan van Rooy Movie buffs will hopefully get the joke intended in this week’s newsletter title, however, if […]
Risky Business – 10 things I hate about TP! Read Post »
The Academy of Tax Law would like to congratulate the head of our academics, Dr Daniel N. Erasmus, and his
Another TP tax dispute argued before the Tax Board in Tanzania won for our client Read Post »
GTC Conference 2022 The introduction of BEPS has changed the landscape of international taxation. It brought about not only legislative
BY: Mark Korten – Korten Consulting The Minister of Finance in Mauritius presented the 2020/21 Budget on 11 June 2021. I
2020/21 Mauritius Budget Read Post »
In Lexel AB v Skatteverket (Case C‑484/19), the Court of Justice of the European Union (CJEU) ruled that Swedish tax legislation, which denied Lexel AB the right to deduct interest payments made to a group company located in another EU Member State (France), infringed upon the freedom of establishment protected under Article 49 TFEU.
Article by: Quebiko.com Now you are able to take the most inclusive Transfer Pricing courses at great pricing on either
Transfer Pricing Masterclass Read Post »
Paper by: Duncan Bentley In 2003, Messere, De Kam and Heady identified major trends in taxation and benefits during the
A MODEL OF TAXPAYERS’ RIGHTS AS A GUIDE TO BEST PRACTICE IN TAX ADMINISTRATION Read Post »
ABSTRACT This thesis deals with the relevant law up to 30 September 2012, but the principles are still relevant to
Challenging SARS audits in light of the Constitution by Prof. Dr. Daniel N. Erasmus Read Post »
The Tax Appeal Tribunal, Lagos Zone (“TAT” or the “Tribunal”), recently held thatservices which flow from service providers in Nigeria
International tax law principles deal with the allocation to various jurisdictions of taxing rights in respect of the business profits
SOUTH AFRICA – Tax revenues from the digital economy – Peter Dachs (ENSAfrica) Read Post »
DTC are binding agreements between usually two States and thus are governed by Public International Law. In the majority of
The one that should have to be in the problem is the one that is included in the spectrum of