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Australia's Annual Vacancy Fee - Use it or be taxed!
Foreign owners of residential property in Australia may now be subject to an annual vacancy fee imposed by the Australian Taxation Office (ATO).
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CbCR: Rough seas ahead for multinationals?
The OECD Country by Country Reporting (CbCR) guidelines relate to new transfer pricing documentation requirements for international companies. This short report explains the basics and implementation progress around the world.
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Brexit: The implications for UK holding companies
This article explains what the UK's holding company offering is likely to look like before and after Brexit.
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U.S moves towards overhaul of tax code as House passes Tax Reform Bills
The Tax Cuts & Jobs Act is expected to deliver tax relief to business start-ups and families and increase U.S. competitiveness. Read an update from Alliott Group NYC member FF&F.
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Hong Kong proposes tax reforms for 2018
Hong Kong member Lawrence Cheung CPA Company provides an update on new tax proposals set to benefit Hong Kong's SME business sector and attract investment in research and development (R&D).
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International Tax Express newsletter - First edition goes live
Tax Express International is Alliott Group’s tax newsletter for small and medium sized businesses and high net worth individuals facing the challenges but also seeking out the opportunities presented by the cross border tax landscape which continues to shift under our feet.
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Value Added Tax in the UAE - What you need to know
Ahead of implementation of VAT in the United Arab Emirates on 1st January 2018 (and in the Gulf Cooperation Council), the UAE’s Government has passed Federal Law No, 7 of 2017, on Tax Procedures (TPL).
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Belgium introduces new transfer pricing documentation & country-by-country reporting requirements
Many companies must start to prepare now for the implications of new tax laws compliant with OECD and EU provisions
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Patent box regimes and innovation and R&D tax incentives across the world
Alliott Group global round table discussion explains how countries around the world are baiting the tax hook to attract investment in innovation and R&D in a post-BEPS world
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Australian Government makes substantial changes to foreign resident withholding tax regime
Robert Lyons and Darren Anderson of Broadley Rees Hogan, lawyers in Brisbane, provide an update on FRCGW changes set to impact foreign residents purchasing certain Australian assets.
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Permanent Establishment: How to know when & where the tax line has been crossed
Members of Alliott Group's International Tax Services Group explain what is Permanent Establishment, the typical triggers & how PE risk can be managed.
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Where will a U.S. company with foreign operations pay tax?
Bruce Militzok, partner at Farkhouh, Furman & Faccio in New York, explains that structure is critical to ensuring U.S. companies pay the right amount of tax on their worldwide profits
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India’s Government takes steps to stop tax evasion by issuing Place of Effective Management (PoEM) guidelines
Pankaj Dave, Senior Partner at B.M. Chatrath & Co in India, provides an update on how the OECD’s Place of Effective Management (PoEM) framework is being implemented in India to determine the residency of companies with global operations.
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Where will a Canadian company with foreign income pay tax?
Montreal accountant Valerie Menard (Hardy Normand) explains the importance of structuring to determine where a Canadian business' foreign income is taxed
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Never make assumptions: Permanent establishment risks & the international assignee
What are the general principles of permanent establishment and how can how short and long term staff assignments trigger a PE problem for companies and individuals? Read this article to find out
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