Europe
- EU Commission’s grounds for appeal in Apple State aid tax case published: European Court of Justice – click here
- French Bar Associations Seeking Injunction to Suspend DAC6 Reporting – click here
- Poland APA statistics reveal alarming trends – click here
- Croatia: Arm’s length interest rate on loans between related parties for 2021 – click here
Global
- OECD holds public consultation on review of minimum standard on dispute resolution under BEPS Action 14 – click here
- US, Argentina agree to exchange country-by-country reports on large multinationals – click here
- Israeli tax circular addresses intercompany recharges from stock-based compensation – click here
- Qatar: Transfer pricing declarations required via tax administration portal (Dhareeba) – click here
- India: Transfer pricing measures in Union Budget 2021-2022 – click here
- Malaysia: Taxpayers now have 14 days to submit transfer pricing documentation – click here
- Australia says top international MNE compliance risks are profit shifting, related party debt, service hubs, inbound supply chain pricing, PE avoidance, non-arm’s length intangibles arrangements, outbound PE, foreign disposal of property: Australian Taxation Office – click here
DAC6
- Gibraltar limits the reporting obligation under DAC6 – click here
- Ireland updated its DAC6 guidance concerning the LPP disclosure procedure – click here
- For the latest developments and news concerning DAC6 – click here
Romania
- Finance amends an issue brought by Law 296, which poses problems for Turkish companies. Annex II will no longer be taken into account. Other news of the project (RO) – click here
- Gift vouchers at the crossroads of recent legislative changes and old practices now subject to tax inspections: where, then? (RO) – click here