Mondaq Europe: Tax > Tax Authorities
Intertrust
The 30 September UBO Register filing deadline is just around the corner.
A. Karitzis & Associates L.L.C
On 27 December 2018, the TAX Authority has released an interpretative circular relating to the application of the amending Act with number 39(I) of 2018 which has come into force on 1 January 2019 and relates to ...
G. Vrikis & Associates LLC
Interest on an overdue instalment of the tax is calculated at an interest rate of 5% per completed month.
Elias Neocleous & Co LLC
The disclosure requirements will have to be followed by "intermediaries" and, in some instances, the taxpayers.
August Debouzy
L'amélioration des relations entre les contribuables et l'administration fiscale est un objectif affiché de longue date et de manière récurrente par l'administration fiscale qui a donné lieu récemment, à l'adoption le 10 août 2018[1] de la loi « pour un Etat au
DLA Piper
On May 10, 2019 (C-371/19), the European Commission brought an action against Germany for its input tax refund procedure for EU taxable persons.
Kirkland & Ellis International LLP
A management equity participation program is a very important instrument when doing deals for a private equity investor.
Your Legal Partners
By virtue of a ministerial decision issued in July 2019 the obligations of special types of companies to be registered in the Central Beneficial Owner Register (CBOR) were clarified.
ATOZ Tax Advisers
On 8 August 2019, a draft law implementing the Council Directive (EU) 2018/822 of 25 May 2018 as regards mandatory automatic exchange of information in the field of taxation in relation to reportable
ATOZ Tax Advisers
On 8 August, the draft law (the "draft law") implementing the EU Directive 2017/952 of 29 May 2017 ("ATAD 2") amending Directive (EU) 2016/1164
Ogier
On 8 August 2019, the Luxembourg Government submitted a draft law to the Parliament (the Draft Law) to implement the Council Directive (EU)
ELVINGER HOSS PRUSSEN, société anonyme
On 8 August 2019, Bill No. 7466 (the "Bill") implementing the Anti-Tax Avoidance Directive (EU) 2017/952 on hybrid mismatches ("ATAD2")
ELVINGER HOSS PRUSSEN, société anonyme
On 8 August 2019, the Luxembourg Government tabled a new Bill of Law N° 7465 (the "Bill") before the Luxembourg Parliament implementing the so-called "DAC6" into Luxembourg domestic law.
Arendt & Medernach
On 8 August 2019, the Luxembourg Government filed with Parliament Bill of Law n°7466 implementing into domestic law council directive (EU) 2017/952 of 29 may 2017 ("ATAD II").
Arendt & Medernach
The DAC 6 Bill requires certain intermediaries to report to their tax authorities cross-border arrangements that contain at least one of the hallmarks laid down in the DAC 6.
Erdem & Erdem Law
It should be noted that the legal entity of an LLC, firstly, is responsible for the unpaid public receivables, such as tax debts, of the company.
Squire Patton Boggs LLP
Last month the government published both the results of its latest consultation on IR35 and the draft legislation.
DLA Piper
In Infohos (C-400/18), the Advocate General considered what conditions Member States are allowed to impose on the availability of the cost-sharing group exemption
DLA Piper
In the Chancellor, Masters and Scholars of the University of Cambridge (C-316/18) the CJEU was asked whether the taxpayer should be allowed to recover input tax
DLA Piper
On 8 August 2019, Ukraine deposited its instrument of ratification of the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (MLI).
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Gibson, Dunn & Crutcher
Tax authorities around the world are trying to understand the fundamental drivers of the digital transformation of the global economy, with the
Withers LLP
The requirement to register a UK resident trust or a non UK resident trust that owns UK assets or has UK source income has been in place since January 2018.
Squire Patton Boggs LLP
Last month the government published both the results of its latest consultation on IR35 and the draft legislation.
TMF Group
Foreign intermediate holding companies need to assess the impact of recently announced widening of the Dutch anti-abuse tax legislation in response to landmark ECJ rulings.
Erdem & Erdem Law
It should be noted that the legal entity of an LLC, firstly, is responsible for the unpaid public receivables, such as tax debts, of the company.
Reed Smith (Worldwide)
The Information Commissioner's Office (ICO) issued a preliminary enforcement notice to Her Majesty's Revenue and Customs (HMRC).
Nazali
Sermayenin taahhüt edilmesi ve taahhüt edilen sermayenin ödenmemesi halinde ticaret hukuku bağlamında yapılması gereken işlemlere TTK'da yer verilmiştir.
Dixcart
During 2017 the Italian Government introduced a new tax regime: The Resident Non-Domiciled Tax Regime (also known as the "Flat Tax Regime"), with the aim of attracting high net worth individuals who want to relocate to Italy.
Fiduciary Group
The Exchequer Secretary to Her Majesty's Treasury, Robert Jenrick, has announced that negotiations between Gibraltar and U.K.
August Debouzy
L'amélioration des relations entre les contribuables et l'administration fiscale est un objectif affiché de longue date et de manière récurrente par l'administration fiscale qui a donné lieu récemment, à l'adoption le 10 août 2018[1] de la loi « pour un Etat au
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