Hong Kong: IRD issues GloBE information return schema, user guides

09 June, 2026

Hong Kong's Inland Revenue Department released revised guidance on the GloBE Information Return, including new XML schema specifications and supplementary user guides, allowing multinational enterprise groups to prepare and validate...

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Bangladesh to introduce fast-track approvals, tax overhaul in 2026-27 budget 

09 June, 2026

Bangladesh will introduce sweeping business deregulation in the fiscal 2026-27 budget, including seven-day fast-track licensing, extended permit validity, automated tax administration, and a unified digital platform to reduce costs and attract investment.

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Croatia: MoF issues implementing rules for global minimum tax framework

09 June, 2026

Croatia introduced regulations for its minimum global corporate profit tax, requiring multinational and large domestic groups to designate responsible entities and calculate top-up taxes through new compliance forms. The regulations, published in Narodne novine No. 53/2026 on 15 May 2026, align with OECD Pillar Two standards and establish filing deadlines and joint liability rules for tax obligations.

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Singapore updates IRAS guidance on Pillar Two top-up tax registration rules

09 June, 2026

The rules, effective for financial years starting on or after 1 January 2025, require in-scope multinational groups to prepare for registration from May 2026 and ensure compliance with new reporting and filing obligations aimed at securing a 15% minimum effective tax rate.

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Denmark: Tax Authority denies automatic tax deferral on share exchange without proper asset valuations

09 June, 2026

Denmark's Tax Authority partially approved a family group's share exchange on 4 June 2026 but ruled that simplified valuation methods cannot justify automatic tax deferral without proper market assessments of key assets.

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US: Judge blocks Trump-era restrictions on clean energy tax credits

09 June, 2026

A federal judge has blocked a Trump administration rule that tightened access to federal tax credits for wind and solar projects, dealing another legal setback to efforts to restrict clean energy development. The Internal Revenue Service failed to adequately justify eliminating a four-year "safe harbour" pathway that had allowed developers to maintain eligibility by spending just 5% of project costs, the court found.

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Bangladesh to introduce major tax relief package to boost investment, to reduce AIT and VAT across various sectors

09 June, 2026

Bangladesh's 2026-27 budget will introduce unprecedented tax relief across import-export sectors, consumer goods, and emerging entrepreneurs, while raising levies on tobacco, steel, and select commodities. The sweeping measures include slashing advance income tax on mobile phone inputs to 1%, eliminating taxation for freelancers and businesses below set turnover thresholds, and extending incentives for renewable energy investments until 2035—though officials warn some essential items will become costlier to offset revenue losses.

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US: IRS details agency activities in fiscal year 2025 Data Book

09 June, 2026

The IRS's fiscal year 2025 Data Book records USD 5.3 trillion in revenue collected across 271.4 million processed returns, as the agency rolls out new tax benefits under the Working Families Tax Cuts Act and accelerates a shift toward digital-first service delivery.

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Belgium aligns with OECD’s common understanding on centralised filing, exchange of GIR

09 June, 2026

Belgium is among 33 implementing countries that agreed on 18 May 2026 to accept centralised filing of the GloBE Information Return, allowing multinational enterprises to submit reports through a single jurisdiction provided they notify Belgium and the exchange occurs by 31 December 2026, with penalties waived during the transition period.

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India expands tax exemptions for foreign investors in government securities

09 June, 2026

India has published the Income-Tax (Amendment) Commencement Ordinance 2026, introducing targeted tax exemptions on interest income and capital gains from government securities for specified foreign entities, including Foreign Institutional Investors and the Bank for International Settlements, subject to compliance conditions. 

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