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Int'l Tax News

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Turkey’s Erdogan Cuts Digital Services Tax Rate

  • By Jonathan Curry

Examines Turkey’s reduction of its digital services tax rate and considers broader implications for digital tax policy and international coordination.

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Inter-Parliamentary Union Proposes to Address Tax Avoidance, Protectionism

  • By Michael Kobetsky
  • By Jenna Lusche

Reviews international parliamentary efforts to address multinational tax avoidance and the growing use of protectionist tax measures, examining the Inter-Parliamentary Union’s proposed resolution and its potential role alongside existing global tax coordination initiatives led by the OECD/G20 and the U.N. Tax Committee.

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Those Tax Modelers? So Hot Right Now

  • By Jonathan Curry

Discusses how AI-driven tax modeling and new legislation are reshaping tax administration and compliance globally.

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Transfer Pricing in Quicksand in 2026

  • By Alexander F. Peter

This article explores how technological change, regulatory uncertainty, and enforcement pressures are reshaping global transfer pricing risk heading into 2026.

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OECD Focused on MAP for Transfer Pricing in Substance Cases

  • By Stephanie Soong

Examines a new OECD initiative aimed at ensuring mutual agreement procedures remain available for adjustments that are substantively transfer pricing–related but not formally characterized as such.

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Tax Transparency in 2026

  • By Nana Ama Sarfo

Discusses the evolving landscape of tax transparency initiatives heading into 2026, including developments in information exchange standards, reporting obligations, and global forums’ efforts to enhance cross-border cooperation and combat tax evasion

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EU Issues Guidelines on Subsidies’ Distortion of Competition

  • By Michael Rapoport

The European Commission issued guidelines on how it addresses situations in which foreign subsidies, such as tax credits and other tax relief, may distort competition.

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It’s Time to Abandon Digital Services Taxes for a Superior System

  • By Daniel Witt

Digital services taxes will occupy a prominent place on the global tax agenda for 2026 because some EU nations will insist on their use and because a growing number of nations are realizing that DSTs may not be worth having—especially when an easy alternative already exists.

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Trump’s Options If Supreme Court Says His Tariffs Are Illegal

  • By Isabel Gottlieb

US President Donald Trump could find out as soon as Jan. 9 whether the Supreme Court will strike down a key portion of his tariffs campaign. The court is considering whether Trump can use an emergency law that had previously never been wielded to impose import taxes, and its decision could be included in an upcoming opinions release on unspecified cases.

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US Mulling Taxing Digital Economy After Global Minimum Tax Pact

  • By Lauren Vella

It’s time to step back and assess prior work undertaken at the OECD to tax the digital economy, a top US Treasury Department official said.

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Trump Directs Exit From UN Forum Overseeing International Tax

  • By Somesh Jha

The Trump administration ordered the US to withdraw from various international organizations, including a United Nations body responsible for developing tools to aid countries in international tax cooperation.

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OECD Countries to Meet in April, Consider Digital Taxation

  • By Somesh Jha

OECD member countries may consider resuming talks on a multilateral global tax deal on digital services at a meeting in April, a top official said.

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Netherlands to Start Side-by-Side Package Adoption Before Summer

  • By Stephanie Soong

Reports that the Netherlands plans to introduce legislation implementing the OECD side-by-side package, with stakeholder consultations expected before summer.

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Tough Trade-Offs on the Horizon for U.N. Tax Talks

  • By Sarah Paez

Examines political and policy challenges facing countries engaged in U.N.-led tax negotiations as deadlines approach.

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Full Impact of Trump Tariffs Will Shake Transfer Pricing in 2026

  • By Steven C. Wrappe

Transfer pricing, which is how companies price transactions between affiliates, underwent colossal changes in the US over the past year, and the new year promises to be at least as tumultuous.

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UK to Amend Global Minimum Tax Law to Enact New Deal from 2026

  • By Somesh Jha

The UK will amend its global minimum tax law to apply recent changes to the OECD-led framework from January 2026, the country’s tax minister said.

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Dutch Tax Advisers Recommend How to Fold Unshell Into EU’s DAC6

  • By Elodie Lamer

Discusses proposals from Dutch tax advisers on incorporating the EU’s Unshell initiative into DAC6 reporting obligations through the creation of a new disclosure hallmark.

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What’s on the International Tax Agenda for 2026?

  • By Mindy Herzfeld

Mindy Herzfeld reviews major international tax developments from 2025,  including disruptions to the OECD’s two-pillar project, evolving tariff policy, and legislative, regulatory, and judicial uncertainty, and assesses what these trends suggest for the international tax agenda in 2026.

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EU’s Tax Strategy to Shift in 2026

  • By Elodie Lamer

Examines the European Commission’s plan to recalibrate its tax agenda in 2026 by prioritizing narrower, targeted initiatives over broad, comprehensive reforms.

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Group Plans to Fight Controversial Belgian AI Data Mining Law

  • By Sarah Paez

Covers a planned legal challenge to Belgian legislation authorizing tax authorities to use artificial intelligence to mine financial data, focusing on privacy and proportionality concerns.


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Goodwill — The Dark Matter of the Transfer Pricing Universe

  • By Gregory J. Ossi

Examines unresolved conceptual and practical issues surrounding the treatment of goodwill in transfer pricing analyses and disputes

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Treasury Secures Agreement to Exempt U.S.-Headquartered Companies from Biden Global Tax Plan

  • By US Department of Treasury

The Treasury Department announced an agreement with OECD Inclusive Framework members confirming that certain U.S.-headquartered multinational groups will be exempt from key elements of the Pillar Two global minimum tax regime. The announcement reflects ongoing efforts to align the Pillar Two framework with existing U.S. tax rules, including the treatment of GILTI. Treasury emphasized that the agreement preserves U.S. taxing rights while reducing the risk of double taxation for U.S. multinationals operating abroad. The development has important implications for the future interaction between U.S. international tax law and the OECD’s global minimum tax project.

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International community agrees way forward on global minimum tax package

  • By OECD

This press release announces that the 147 members of the OECD/G20 Inclusive Framework have agreed on key elements of a package advancing the coordinated operation of the global minimum tax, which includes the side-by-side approach reflected in the Tax Notes article

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Business Cheers OECD Deal on ‘Side-by-Side’ Global Tax System (1)

  • By Lauren Vella

US business groups and lawmakers welcomed an agreement reached by over 140 countries at the OECD that would exempt American companies from major parts of the global minimum tax framework.

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Countries Carve Out US Business From Global Minimum Tax (3)

  • By Lauren Vella
  • By Somesh Jha
  • By Ryan Hogg

The Trump administration notched a major win for US companies, securing a commitment from international negotiators at the OECD to exempt them from key provisions of the global minimum tax.

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Why US Tariffs Failed to Dent Global Trade

  • By Mihir Sharma

Last year was supposed to mark the moment international trade was dismantled. President Donald Trump’s tariffs, we were told, were so unprecedented in scale and ambition that they might stop globalization in its tracks.

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The Impact of the G7’s Pillar 2 Statement on U.S.-Parented Multinational Groups

  • By Daan Jongbloed
  • By Michiel Schul

This article evaluates how the G7’s Pillar Two statement could affect the application of minimum tax rules to U.S.-parented multinational enterprises

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Transfer Pricing a Top UN Concern but Nations Split Over Fixes

  • By James Munson

Countries at the United Nations are looking at sweeping changes to transfer pricing rules as they design a tax treaty acceptable to developing economies. But easing access to transfer pricing information could emerge as a more realistic outcome.

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Irish Finance Department Summarizes Budget 2026 Tax Measures

  • By Tax Analysts

Summarizes Ireland’s 2026 budget tax measures, including extensions of credits and reliefs affecting individuals and businesses.

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Simplification and Soft Law Dominate EU’s 2026 Tax Agenda

  • By Sophie Petitjean

Examines the European Union’s 2026 tax priorities, highlighting the growing role of soft law, administrative coordination, and simplification efforts alongside carbon border and minimum tax initiatives.

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UN Tax Treaty Talks Enter Big Year as Business Watches Closely

  • By James Munson

Businesses will keep a close eye on negotiations at the United Nations over global tax rules, with first drafts and their economic impact studies planned to be released next year.

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OECD Tackles Tax Complexities of International Remote Work

  • By Price, Gregory
  • By Edward Hughes

Five years after the Covid-19 lockdowns, there has been a significant increase in enterprises looking to enable cross-border remote work, partly due to a desire to expand into new markets but predominantly due to increased demand from individuals.

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OECD Peers Advised 26 Countries to Improve Tax Ruling Exchanges

  • By Shaun Courtney

The OECD asked 26 countries to improve their facilitation of tax rulings that help tax authorities in risk assessments and counter base erosion and profit shifting concerns, according to a new report.

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US Threatens to Retaliate Against EU Firms Over Digital Tax (3)

  • By Tyler Kendall
  • By Jennifer A. Dlouhy

The Trump administration threatened retaliation against the European Union in response to efforts to tax American tech companies, singling out prominent companies, including Accenture Plc, Siemens AG and Spotify Technology SA, as possible targets for new restrictions or fees.

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Governments Keep Rewriting the Rules on Digital Services Taxes

  • By Nana Ama Sarfo

Nana Ama Sarfo explores how some countries are using the revenue results of their digital services taxes — whether better or worse than expected — as justifications for expanding their measures.

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Brazil Signs the Multilateral Instrument

  • By Alina Miyake and Lucas de Lima Carvalho

Alina Miyake and Lucas de Lima Carvalho explore Brazil’s signing of the OECD multilateral instrument and the implications for Brazil's tax treaties.

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Vietnam Requires Online Platforms to Remit Tax on Sellers' Behalf

  • By William Hoke

Vietnam’s National Assembly has amended the Tax Administration Law to require online platforms to remit taxes on behalf of parties selling goods and services over their systems.

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French Tax Authority Publishes GLOBE Information Return Guidance


France's Directorate General of Public Finances has published a user guide for taxpayers required to file information returns under the country’s global anti-base-erosion rules, confirming plans to open a submission platform by May 2026.

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Australian Tax Agency Issues CbC Reporting Exemption Guidance

  • By William Hoke

The Australian Taxation Office has released final guidance on how it will grant full or partial exemptions for public reporting of multinational enterprises' tax information on a country-by-country basis.

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From Trade Wars to Treaty Gaps: The New Frontier of Fiscal Diplomacy

  • By Mukesh Butani, Shankey Agrawal, Harsh Shukla, Pratha Khanna, and Spandana Koona

Mukesh Butani, Shankey Agrawal, Harsh Shukla, Pratha Khanna, and Spandana Koona examine the impact of U.S. tariffs on global trade and offer recommendations for establishing treaty standards to protect against future uncertainties.

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OECD Publishes 2025 Tax Revenue Statistics

  • By OECD

The OECD on December 9 published its 2025 tax revenue statistics report, finding that the average tax-to-GDP ratio across member jurisdictions increased from 33.7 percent to 34.1 percent between the 2023 and 2024 financial years, with social security contributions and personal income taxes accounting for the largest shares of revenue on average in 2023 at 25.5 percent and 23.7 percent, respectively.

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How Canada’s Budget Law Affects Canada-US Tax Comparisons

  • By Nathan Boidman

This third piece of a series comparing Canada and US individual and business tax rules analyzes how Canada’s Nov.4 federal budget provisions affect the comparisons of Canada’s tax rules to their US counterparts. Draft legislation (Bill C-15 issued on Nov. 18 ) reflects some of the budget proposals and the balance will be dealt with in subsequent legislation, and tax changes are generally prospective not retroactive.

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Tariffs, Big Audits, Roil Transfer Pricing Heading Into New Year

  • By Caleb Harshberger

A slew of big tax disputes and the worldwide upheaval brought on by the Trump administration’s aggressive trade policy made for an exceptionally interesting year for transfer pricing professionals, and left them with lingering questions heading into 2026.

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Belgium Says Pillar 2 Shouldn't Harm EU Companies

  • By Elodie Lamer

Belgian Finance Minister Jan Jambon said the EU's evaluation of pillar 2 must account for the major political changes now underway around the world.

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Canada's 2025 Budget Proposes Major Transfer Pricing Changes

  • By Michael N. Kandev

Michael N. Kandev examines current transfer pricing guidelines in Canada and compares them with proposed changes in the 2025 budget.

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Pillar 2 Runs Into Political, Legal, and Administrative Obstacles

  • By Mindy Herzfeld

Mindy Herzfeld examines the headwinds facing the OECD pillar 2 global minimum tax project.

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Netherlands Backs Restrictions During Pillar 2 Tax Credit Talks


The Netherlands recognizes the importance of favorable treatment of substance-based nonrefundable tax credits under OECD global minimum tax rules, but restrictions are necessary to preserve pillar 2’s goals, a top Dutch tax official said.

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Will AmFree Kill the GLOBE?

  • By Tarcísio Diniz Magalhães

 The following amicus curiae brief was filed with the Court of Justice of the European Union on November 19 by an international group of tax professors regarding a U.S. business lobby group’s legal challenge against Belgium’s undertaxed profits rule in American Free Enterprise Chamber of Commerce v. Ministerraad, C-519/25.

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Global Mobility, Remote Work Issues Next on OECD’s Tax Agenda

  • By Shefali Anand

The OECD plans to soon focus on global mobility and helping tax systems adjust to remote working, Manal Corwin, director of the organization’s Center for Tax Policy and Administration, said. 

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The White House Targets Digital Services Taxes, and Now, VAT

  • By Nana Ama Sarfo

Nana Ama Sarfo discusses how the Trump administration’s efforts to combat discriminatory unilateral measures in the digital economy are extending past digital services taxes and including indirect taxes like value added taxes.

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