Spain: Tax Agency publishes 2025 corporate tax, non-resident income tax return forms

02 June, 2026

Spain has published Order HAC/529/2026 approving the 2025 Corporate Tax and Non-Resident Income Tax return forms, introducing updated activity classifications, revised tax rates, new reporting requirements for large groups and...

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US: JCT publishes detailed explanation of tax overhaul under One Big Beautiful Bill Act

02 June, 2026

The US Congress Joint Committee on Taxation released on 28 May 2026 its General Explanation of Public Law 119-21, providing a comprehensive breakdown of the “One Big Beautiful Bill Act,” which makes permanent several individual tax reliefs, reshapes corporate investment rules, revises international tax regimes, and phases out multiple energy-related incentives. 

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Canada: CRA releases updated 2025 corporate income tax guide

02 June, 2026

The Canada Revenue Agency updated its 2025 corporate income tax guide on 28 May 2026, introducing changes affecting accelerated capital cost allowance incentives, transfer pricing rules, foreign affiliate taxation, clean technology tax credits, and research and development incentives, alongside the removal or phase-out of several fuel charge rebate measures.

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Australia proposes bill to overhaul capital gains tax

02 June, 2026

Australia has unveiled sweeping tax reform proposals that would remove the 50% capital gains tax discount, introduce a 30% minimum tax on net capital gains from July 2027, and limit negative gearing benefits to newly built homes as part of efforts to improve housing affordability and boost new housing supply. 

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Panama enacts law introducing economic substance rules for MNE groups

02 June, 2026

Panama has enacted Law No. 526 of 28 May 2026, introducing economic substance requirements for MNE groups earning foreign passive income from the 2027 fiscal year. Entities must show real presence in Panama or face a 15% tax on net income, alongside stricter PE rules, a GAAR, and OECD nexus-based limits on IP exemptions.

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Romania: ANAF proposes stricter rules for profit tax redirection for sponsorships, patronage 

02 June, 2026

Romania’s National Agency for Fiscal Administration (ANAF), in a draft order published on 28 May 2026, proposed changes to profit tax redirection rules for sponsorships and patronage, introducing stricter compliance checks, new notification procedures for excess allocations, and enhanced digital verification of taxpayer eligibility and beneficiary status.

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European Commission confirms Cyprus meets Pillar Two income inclusion rule standard,  new FAQ available

02 June, 2026

The European Commission, in an FAQ, clarified that EU Member States must treat Cyprus as having a qualified income inclusion rule under the EU Pillar 2 Directive, confirming its recognition for global minimum tax purposes despite its absence from the OECD central record.

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Sweden updates global minimum tax guidance with relief on first GIR filings

02 June, 2026

The Swedish Tax Agency has updated its Global Minimum Tax guidance to adopt the OECD’s flexible approach for first-year GloBE Information Return filings, waiving certain exchange agreement requirements and late-filing penalties for returns due by 30 June 2026, subject to specified conditions.

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Albania ratifies STTR MLI under Pillar Two framework

02 June, 2026

Albania has completed ratification of the STTR MLI, a key Pillar Two instrument designed to ensure a minimum 9% tax rate on specified categories of cross-border income.

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Portugal clarifies GIR filing relief under global minimum tax regime

02 June, 2026

The Portuguese Tax and Customs Authority has outlined procedures for applying OECD-agreed relief from local GIR filing obligations under the Global Minimum Tax Regime, including requirements for Model 62 declarations and centralised GIR return filings for the 2024 fiscal year.

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