OECD – Revenue Statistics 2019

This annual publication presents a unique set of detailed and internationally comparable tax data in a common format for all OECD countries from 1965 onwards.
Available: 5 December 2019

We will make it available on 5 December 2019.

Related Articles

Czech Republic vs RR Donnelley Transfer Pricing Case

The case Czech Republic vs. RR Donnelley Czech s.r.o. revolved around a transfer pricing dispute concerning the application of Section 23(7) of the Czech Income Tax Act (ITA). The core issue was whether RR Donnelley Czech s.r.o. had correctly applied the arm’s length principle in a transaction involving the purchase of hard disk drives (HDDs) on behalf of Banta Ireland, a related entity.

India vs AON Consulting: TRANSFER PRICING CASE

The High Court of Delhi, in its ruling on AON Consulting Pvt. Ltd. v. Principal Commissioner of Income Tax – 1 and Ors. (ITA 244/2024), addressed a crucial transfer pricing (TP) dispute concerning the application of Mutual Agreement Procedure (MAP) to transactions not covered under the agreement.

UK vs Royal Bank of Canada: International Tax Case

This case examines whether payments received by the Royal Bank of Canada (RBC) under an oil exploration agreement were subject to UK taxation. The core issue concerns the interpretation of Article 6(2) of the UK/Canada Double Taxation Convention 1978, which governs the taxation of income derived from immovable property, including natural resources.

Byrnes’ Comments on the OECD’s “Unified Approach” to Allocation of Profits of Digital Business

BEPS, DIGITAL SERVICES TAX, DIGITALIZATION, OECD, PERMANENT ESTABLISHMENTS, TRANSFER PRICING William Byrnes (Texas A&M University Law)/October 10, 2019  In my International Taxation class tomorrow (October 10th) we are going to discuss the  OECD’s